Customs Today
  • Home
  • Islamabad
  • Karachi
  • Lahore
  • National
  • Transfers and Postings
  • Chambers & Associations
  • Business
No Result
View All Result
Customs Today
  • Home
  • Islamabad
  • Karachi
  • Lahore
  • National
  • Transfers and Postings
  • Chambers & Associations
  • Business
No Result
View All Result
Customs Today
No Result
View All Result
Home Islamabad

IHC seeks reply from tax authorities on petition filed by M/s Hasas Engineering & Construction Company

byNaeem Ullah Tariq
12/01/2017
in Islamabad, Latest News
Share on FacebookShare on Twitter

ISLAMABAD: A single bench of Islamabad High Court on Wednesday directed the Large Taxpayers’ Unit to submit detail reply over issuance of a tax recovery notice to M/s Hasas Engineering and Construction Company Private Limited.

M/s Hasas Engineering and Construction Company Private Limited had filed the reference in which the company had challenged a show cause notice issued by the Large Taxpayers Unit, Islamabad.

You might also like

Peshawar High Court upholds abolition of free electricity units for DISCO employees

04/08/2026

SIFC unlocks $200m mining project in Balochistan

04/08/2026

The appellant had challenged the act of recovery of said amount by commissioner Inland Revenue of Large Taxpayer’s Unit, Islamabad. M/s Hasas Engineering and Construction Company Private Limited issued notice in head of income tax.

M/s Hasas Engineering and Construction Company Private Limited had prayed the court that FBR office had issued a recovery notice to the company which did not hold lawful grounds.

The appellant had prayed the court to declare the act as illegal and without any lawful authority and an interim stay may be granted against recovery proceedings.

M/s Hasas Engineering and Construction Company Private Limited  submitted before the court that the impugned order was issued under mala fide intentions and had no legal standing or authority and the court may decide on relief which it deemed appropriate in this regard. It also stated that due legal course was not followed by the department in issuing the order.

M/s Hasas Engineering and Construction Company Private Limited had also prayed the court to decide the case early as the appellant had to bear financial complications after the case.

ATIR, Federal Board of Revenue (FBR), officers of LTU including Commissioner Inland Revenue, and others were made respondent in the case.

M/s Hasas Engineering and Construction Company Private Limited had also mentioned that departmental obligations were not met amid processing the notice of recovery demand while later the adjudication did not addressed grievances of the appellant.

 

Related Stories

Peshawar High Court upholds abolition of free electricity units for DISCO employees

byCT Report
04/08/2026

PESHAWAR: The Peshawar High Court (PHC) upheld the federal government's decision to abolish the longstanding facility of free electricity units...

SIFC unlocks $200m mining project in Balochistan

byCT Report
04/08/2026

KHUZDAR: The Special Investment Facilitation Council (SIFC) has resolved long-standing regulatory issues surrounding the Barite Lead Zinc Project in Balochistan’s...

PNSC revenue jumps 29pc in July–March FY2025-26

byCT Report
04/08/2026

KARACHI: The Pakistan National Shipping Corporation (PNSC) posted robust revenue growth during the first nine months (July–March) of FY2025-26, although...

Pakistan, Indonesia explore new avenues for bilateral trade

byCT Report
04/08/2026

RAWALPINDI: Pakistan and Indonesia are gearing up to expand bilateral economic cooperation by addressing existing trade imbalances and establishing direct...

Next Post

LHC adjourns hearing of Ayan Ali case

  • Terms and Conditions
  • Disclaimer

© 2011 Customs Today -World's first newspaper on customs. Customs Today.

No Result
View All Result
  • Transfers and Postings
  • Latest News
  • Karachi
  • Islamabad
  • Lahore
  • National
  • Chambers & Associations
  • Business
  • About Us

© 2011 Customs Today -World's first newspaper on customs. Customs Today.