At the outset, learned counsel submits that this is second writ petition filed by the Petitioner on similar cause. He explains that in earlier Writ Petition No.2309 of 2024, this Court, vide order dated 16.08.2024, remitted the matter to the Federal Board of Revenue (the "Board") with a direction to resolve the issue after providing proper hearing to all concerned, including the Petitioner, strictly as per law within a period of one month in light of the law/judgments mentioned in the said order, by granting it interim relief as stopgap measures, in the meanwhile. He submits that pursuant to the aforesaid direction of this Court, the Petitioner approached the concerned authority but since committee of the Alternative Dispute Resolution (the "ADR") has not been established so far, he has again knocked the door of this Court for grant of interim relief on the touchstone of the principles laid down in the judgments reported as textit{Shell Pakistan Limited v. Government of Punjab and othe...
PRESENT:
JAWAD HASSAN, JUSTICE
Petitioner(s) by: Syed Tanseer Bukhari.
Respondent(s) by: Imran Shaukat Rao,.
Law: Income Tax Ordinance, 2001
Sections: 134A(1)
Disclaimer / Note: We have reproduced the judgment for facilitation of readers; however, the readers must study the original or certified copy of the above said judgment before referring it in any Court of Law. The judgment as reproduced above is a reported judgment available in law magazines and journals namely: 2025 PTD 614