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Customs Court calls progress report against suspects booked in offshore’s company case

byM.B. Rana
20/04/2017
in Karachi, Latest News
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KARACHI: Customs Taxation and Anti-smuggling Court Judge Syed Faiz Rasool Rashdi directed investigation officer to submit progress report of absconding accused namely Bashir Dawood and Mariyam Dawood who were booked in a case of concealment of income, furnishing inaccurate particulars of income/ wealth and money laundering through an offshore company. The court adjourned the case for April 28, 2017.

During the hearing, Investigation Officer Muhammad Arif appeared before the court and submitted that both the accused persons have not been arrested yet. He further submitted that proceedings were completed against them. After the hearing, the court declared both the accused as proclaimed offenders.

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It needs to be pertained here that the court had issued several times their bailable and non-bailable warrants and on the last date of hearing, the court had directed the Federal Investigation Agency (FIA) for issuing red warrants against the accused.

Earlier, investigation officer had filed an application before the court for attachment of property and bank accounts under section 8 of the anti-money laundering act, 2010 in order to protect the public exchequer and also had informed the court that above named accused persons are absconders, therefore, court had allowed to IO for attachment of their bank accounts as case property for 30 days.

According to the prosecution, case no 01/2016 was registered against them alleging that the accused persons having offshore company and involved concealing the income approximately Rs. 9,870 million and amount of income tax sought to be evaded of Rs. 2, 469 million and amount of income tax recoverable (up to tax year 2014) Rs. 2, 467 million along with default surcharge & penalty to be determined at the time of payment.

Case was registered in violation of under section 111 (1) (d) (1) of the income tax ordinance 2001, liable to be prosecuted under section 192 a ibid read with section 2 and 8 (2) of the AMP act 2010.

 

 

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