06-Dec-2024: HANDOUT ON CASE LAW UPDATES; YEAR 2023 Post author:ajeeb Post published:January 6, 2026 Post category: Post comments:0 Comments Continue Reading06-Dec-2024: HANDOUT ON CASE LAW UPDATES; YEAR 2023
01-Sep-2024: 13th CASE LAW UPDATE OF 2024 DEFAULT IS WILLFUL OR INADVERTENT; SURCHARGE IS PAYABLE PENALTY IS A DIFFERENT CONSIDERATION: REMANDED BACK TO HIGH COURT Post author:ajeeb Post published:January 6, 2026 Post category: Post comments:0 Comments Continue Reading01-Sep-2024: 13th CASE LAW UPDATE OF 2024 DEFAULT IS WILLFUL OR INADVERTENT; SURCHARGE IS PAYABLE PENALTY IS A DIFFERENT CONSIDERATION: REMANDED BACK TO HIGH COURT
05-Dec-2024: 29th LAW UPDATE OF 2024 ; 180 DAYS TIME LIMIT IS DIRECTORY FOR CIRA Post author:ajeeb Post published:January 6, 2026 Post category: Post comments:0 Comments Continue Reading05-Dec-2024: 29th LAW UPDATE OF 2024 ; 180 DAYS TIME LIMIT IS DIRECTORY FOR CIRA
01-Sep-2024: 12th CASE LAW UPDATE OF 2024 ; EFFECT OF NON-SUSPENSION OF TRIBUNAL’S ORDERS; TRIBUNAL HAS POWER TO ENFORCE ITS ORDERS Post author:ajeeb Post published:January 6, 2026 Post category: Post comments:0 Comments Continue Reading01-Sep-2024: 12th CASE LAW UPDATE OF 2024 ; EFFECT OF NON-SUSPENSION OF TRIBUNAL’S ORDERS; TRIBUNAL HAS POWER TO ENFORCE ITS ORDERS
25-Nov-2024: 27th CASE LAW UPDATE OF 2024; DEPARTMENT CANNOT START ASSESSMENT AT THE TIME OF REFUND ORDER. DEPARTMENT CANNOT CHANGE THE NATURE OF TAX DEDUCTION FROM NTR TO FTR AT THE TIME OF REFUND ORDER. DEPARTMENT CANNOT REJECT THE REFUND ORDER ON POINT OF BARRED BY TIME LIMITATION Post author:ajeeb Post published:January 6, 2026 Post category: Post comments:0 Comments Continue Reading25-Nov-2024: 27th CASE LAW UPDATE OF 2024; DEPARTMENT CANNOT START ASSESSMENT AT THE TIME OF REFUND ORDER. DEPARTMENT CANNOT CHANGE THE NATURE OF TAX DEDUCTION FROM NTR TO FTR AT THE TIME OF REFUND ORDER. DEPARTMENT CANNOT REJECT THE REFUND ORDER ON POINT OF BARRED BY TIME LIMITATION
26-Aug-2024: 11th CASE LAW UPDATE OF 2024 ;ISSUANCE OF NOTICE AND COMPLETION Post author:ajeeb Post published:January 6, 2026 Post category: Post comments:0 Comments Continue Reading26-Aug-2024: 11th CASE LAW UPDATE OF 2024 ;ISSUANCE OF NOTICE AND COMPLETION
18-Nov-2024: 26th CASE LAW UPDATE OF 2024; DEDUCTION OF SECTION 156A FROM PETROL PUMPS IN FATA IS PAKISTAN SOURCE INCOME; PLACE OF INCOME ORIGINATION IS PIVOTAL FOR EXEMPTION OF ENTITIES SITUATED IN FATA Post author:ajeeb Post published:January 6, 2026 Post category: Post comments:0 Comments Continue Reading18-Nov-2024: 26th CASE LAW UPDATE OF 2024; DEDUCTION OF SECTION 156A FROM PETROL PUMPS IN FATA IS PAKISTAN SOURCE INCOME; PLACE OF INCOME ORIGINATION IS PIVOTAL FOR EXEMPTION OF ENTITIES SITUATED IN FATA
26-Aug-2024: 10TH CASE LAW UPDATE OF 2024:COLOCATION SERVICE DOES NOT FALL UNDER THE DEFINITION OF TELECOMMUNICATION SERVICES IN SRB Post author:ajeeb Post published:January 6, 2026 Post category: Post comments:0 Comments Continue Reading26-Aug-2024: 10TH CASE LAW UPDATE OF 2024:COLOCATION SERVICE DOES NOT FALL UNDER THE DEFINITION OF TELECOMMUNICATION SERVICES IN SRB
31-Oct-2024: 25th CASE LAW UPDATE OF 2024; INPUT DISALLOWANCE IS PREROGATIVE OF THE GOVERNMENT. INPUT NOT ALLOWED ON GOODS NOT DIRECTLY USED IN TAXABLE SUPPLY Post author:ajeeb Post published:January 6, 2026 Post category: Post comments:0 Comments Continue Reading31-Oct-2024: 25th CASE LAW UPDATE OF 2024; INPUT DISALLOWANCE IS PREROGATIVE OF THE GOVERNMENT. INPUT NOT ALLOWED ON GOODS NOT DIRECTLY USED IN TAXABLE SUPPLY
25-Aug-2024: 9TH CASE LAW UPDATE OF 2024: SALES TAX PAYMENT BORNE BY BUSINESS Post author:ajeeb Post published:January 6, 2026 Post category: Post comments:0 Comments Continue Reading25-Aug-2024: 9TH CASE LAW UPDATE OF 2024: SALES TAX PAYMENT BORNE BY BUSINESS