FBR income tax notices under sections 111, 122, and 177 of the Income Tax Ordinance 2001, Appellate Tribunal Inland Revenue (ATIR) representation, sales tax disputes, withholding tax compliance under sections 153, 161, and 165, Finance Act 2025 rate advisory, and tax obligations for non-resident Pakistanis.
Most FBR disputes begin with a show-cause notice under the Income Tax Ordinance 2001, commonly s.111 (unexplained income/assets) or s.122 (amendment of assessment). A taxpayer's response deadline and the burden of proof both depend on which section the notice cites, which is the first thing to establish before drafting any reply.
A client received a s.111 notice questioning the source of funds for a property purchase. The funds were traceable to a foreign remittance that had not been properly documented at the time. We compiled the banking trail and remittance records into a formal reconciliation, and the notice was closed without further proceedings.
Illustrative summary of a real matter type we handle. Names, dates, and identifying details are withheld or altered to protect client confidentiality, this is not a verbatim case record.
Recovery suit defence under the Financial Institutions (Recovery of Finances) Ordinance 2001, leave-to-defend applicatio…
SECP incorporation, Companies Act 2017 compliance, mergers and acquisitions advisory, shareholder agreements, joint vent…
Khula proceedings under the Dissolution of Muslim Marriages Act 1939, Talaq and Muslim Family Laws Ordinance 1961 regist…
Title verification, sale and purchase deed drafting, DHA and LDA disputes, illegal possession injunctions under Order 39…
UK visa refusal appeals and Administrative Review, legal rights management for overseas Pakistanis via Special Power of …
Prosecution and defence under the Prevention of Electronic Crimes Act 2016, FIA Cybercrime Wing complaints, data privacy…