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Latest Judgments (All Jurisdictions within Pakistan)

PENSION OF EXCHIEF JUDGE SUPREME APPELLATE COURT: In the matter of Civil Review No 6 of 2015 in SMC No 15 of 2010 heard on 12th April 2016 Supreme Court Judges Leave Pension and Privileges Order (Presidential Order No 2 of 1997)

Citation: 2016 GBLR 29

Case No: Witheld

Judgment Date: 12/04/2016

Jurisdiction: Supreme Appellate Court - GB

Judge: Dr. Rana Muhammad Shamim, C.J., Javed Iqbal and Shahbaz Khan, JJ

Summary: Summary pending

ALI ASSOCIATES THROUGH MANAGING DIRECTOR VS NOOR HUSSAIN

Citation: 2017 CLC 857

Case No: F. A. O. No. 31/2016

Judgment Date: 12-04-2016

Jurisdiction: Lahore High Court

Judge: Justice Ibad

Summary: Summary pending.

Messrs SHAH STEEL INDUSTRY and others VS FEDERATION OF PAKISTAN through Federal Secretary Finance and Revenue Division

Citation: 2024 PTD 818

Case No: 2024ptd818

Judgment Date: 12/4/2016

Jurisdiction: Peshawar High Court

Judge: Justice Abdul Shakoor

Summary: Summary Pending

MUHAMMAD AHMED VS MUHAMMAD ISMAIL and others

Citation: 2024 MLD 594

Case No: Civil SSuit No.645 of 2014

Judgment Date: 12/4/2016

Jurisdiction: Sindh High Court

Judge: Justice Salahuddin Panhwar

Summary: Summary Pending

MUHAMMAD ISMAIL and otherss VS MUHAMMAD AHMED and 2 otherss

Citation: 2024 CLC 468

Case No: Civil SSuit No.746 of 1998 and 645 of 2014

Judgment Date: 12/4/2016

Jurisdiction: Sindh High Court

Judge: Justice Salahuddin Panhwar

Summary: Summary Pending

Institute of Space Technology (IST) VS Husnain Riaz etc

Citation: 2016 MLD 1432 Islamabad

Case No: Civil Revision-89-2016

Judgment Date: 12/4/2016

Jurisdiction: Islamabad High Court

Judge: Justice Mohsin Akhtar Kayani

Summary: Summary Pending

MAPLE LEAF CEMENT FACTORY VS FBR ETC | MAPLE LEAF CEMENT FACTORY VS Federal Board of Revenue and others

Citation: 2016 LHC 1124, 2016 PCTLR 472,2016 PTD 2074

Case No: W.P No.18703 of 2008

Judgment Date: 12/04/2016

Jurisdiction: Lahore High Court

Judge: Justice Shahid Karim

Summary: The central issue in both petitions is the interpretation of section 174(3) of the Income Tax Ordinance, 2001, which specifies the duration records must be maintained. The petitioner argued that they are not required to produce records beyond the prescribed period. The court holds that the tax authorities may proceed with their actions and notices but cannot compel the petitioners to produce records that they are not required to maintain beyond the specified period, which is five years. The court ruled in favor of the petitioners, affirming that they are not obligated to provide records beyond the period specified in the law and that the tax authorities must respect this limitation when requesting documentation for tax-related matters---In these two petitions filed under Article 199 of the Constitution of the Islamic Republic of Pakistan, 1973, the petitioners challenge notices issued by the Deputy Commissioner, Enforcement and Collection Division-02, Large Taxpayer Unit, Lahore. The notices requested the submission of the annual statement of withholding taxes for the tax year 2003, as well as a reconciliation statement as per rule 44(4) of the Income Tax Rules, 2002, along with evidence of payment of claimed deductions. The notices were issued due to discrepancies in tax deductions during the tax year 2003.One of the petitions also relates to a demand to produce records for the tax year 2004 for audit purposes. The petitioner in this case argued that the record-keeping requirement beyond a period of five years under section 174(3) of the Income Tax Ordinance, 2001, was not applicable.The central legal question in these petitions revolved around the interpretation of section 174(3) of the Ordinance, 2001, which mandates taxpayers to maintain records for five (later amended to six) years. The petitioners contended that they were not obliged to maintain records beyond this period and, therefore, could not be compelled to produce them.The court found that while the tax authorities could proceed with their actions based on the impugned notices, the petitioners could not be forced to produce records that were not required to be maintained beyond the specified period. The court emphasized that section 174(3) does not prescribe penalties for failure to maintain records beyond the designated time frame.In summary, these petitions were accepted by the court, allowing the tax authorities to continue their actions based on the notices. However, the tax authorities could not compel the petitioners to produce records that were not mandated to be maintained beyond a five-year period as per section 174(3) of the Income Tax Ordinance, 2001.

Bahadur Shah Versus Contractor Rehman Shah

Citation: Pending

Case No: No. 64/2016

Judgment Date: 12/04/2016

Jurisdiction: Supreme Appellate Court - GB

Judge: Justice

Summary: Summary Pending

Present: Umar Ata Bandial Sajjad Ali Shah and Munib Akhtar JJ Civil Appeals Nos 26 to 29 of 2015 (On appeal from the judgment/order dated 26042014 of the Peshawar High Court Peshawar passed in TR No 5P8P/2013) Civil Appeal No 16 of 2016

Citation: 2021 PTD 578

Case No: Case20471

Judgment Date: 11/04/2016

Jurisdiction: Supreme Court of Pakistan

Judge: Unknown Judge

Summary: Summary pending

MANZOOR BUTT THROUGH LRS VS MAHMUD SUFI

Citation: 2016 CLC 1284

Case No: SUIT No. 1271/1998

Judgment Date: 11-04-2016

Jurisdiction: Sindh High Court

Judge: Justice Muhammad Junaid Ghajfar

Summary: Summary pending.

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