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Home Karachi

M/s Shaheen Enterprises involves in tax evasion of Rs105,246

byAftab Channa
09/11/2016
in Karachi, Latest News
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KARACHI: Directorate of Customs’ Post Clearance Audit (PCA) has detected evasion of duties/taxes of Rs 105,717 by, it is learnt.

The official sources told Customs Today that M/s Shaheen Enterprises imported one consignment of Aerosol Spray Paints under PCT Heading 3208.9090 and cleared the same from MCC Appraisement (West) Custom House, through their clearing agent namely M/s Morriswala and Co after claiming benefit of SRO 659(I)/2007 dated 03.06.2007. However, the subject goods are correctly classifiable under PCT 3208.2090 attracting Customs Duty @ 20% Sales Tax @ 17%, Additional Sales Tax @3 % and Income Tax @ 6%.

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Thus, by way of misdeclaration of classification, M/s Shaheen Enterprises evaded/short paid Rs 105,246. Therefore, the Importer, has violated the provisions of Section 32 (1) (2) & (3A) of the Customs Act, 1969, Section 3, 6 & 7 read with Section 34 of the Sales Tax Act 1990 and Section 148 of Income Tax Ordinance 2001 punishable under clauses (1), and 14 of Section 156(1) of the Customs Act 1969, Section 33(5) of the sales tax Act, 1990 and Section 148 & 182 of Income Tax Ordinance 2001 and section 7A of the Sales Tax Act 1990 read with chapter X of the Sales Tax Special procedure Rules 2007(special procedures for payment of sales tax by the importers)  and under   relevant provisions of Income Tax Ordinance 2001.

Accordingly, an audit observation was issued to M/s Shaheen Enterprises for explaining and clarifying as to on what basis they have avoided/ evaded the leviable duty and taxes. The importer, however, failed to come up with any tangible evidence and explanation and was also unable to refute the charges leveled by the Department.

In view of the aforesaid M/s Shaheen Enterprises are held to have intentionally & willfully caused loss to the Government exchequer amounting to Rs 105,246. The contravention report is forwarded for initiation of adjudication proceedings in the case.

 

 

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