Supreme Court of Pakistan
2025
THLN 4846
2025 PTD 622
Laws Cited
Sales Tax Act, 1990
Sections
7(1), 7

Commissioner Inland Revenue, Corporate Zone, RTO Peshawar.

VS

M/s Flying Kraft Paper Mills (Pvt.) Limited, … Appellant Charsadda and another. AND Civil Petition No. 483-K of 2021 [Against the judgment dated 04.02.2021 of the High Court of Sindh, Karachi passed in Special Sales Tax Appeal No. 148/2005] … Respondents Commissioner Inland Revenue, Legal LTO, K

Petitioner(s) by: Dr. Farhat Zafar, ASC. Dr. Ishtiaq Ahmed Khan, Director-General, Law, FBR. Sharif Ullah, AD, Legal.
Respondent(s) by: Mr. Isaac Ali Qazi, ASC. In CP.483-K/21: For the Petitioner: Mr. Irfan Mir Halepota, ASC. Mrs. Abida Parveen Channar, AOR. Mr. Sharjeel Ahmed, Addl. Commissioner, FBR. [Via video-link from Karachi]
Present: Mr. Justice Yahya Afridi, CJ Mr. Justice Muhammad Shafi Siddiqui Mr. Justice Miangul Hassan Aurangzeb
ORDER

Muhammad Shafi Siddiqui, J.1.Via show cause notice dated 18.02.2003 issued to the respondent-company on the alleged inadmissible input tax adjustment paid towards electricity and gas bills supplied to the residential colony of the factory within factory premises for the month of January and February, 2000; the adjustment was questioned. The show cause notice was contested. It was originally decided via order-in-original against the respondent. The respondent filed an appeal before the Tribunal, which decided on 08.07.2008 that the adjustment of input tax on electricity and gas consumption supplied by a common commercial meter to factory and labour colony of the factory, by the appellant is justified and within the frame of section 7(1) of the Sales Tax Act, 1990 (‘the Act'). The appeal was allowed and the impugned order-in-original was set aside. 2. Aggrieved of it, the appellant filed Sales Tax Reference No. 14 of 2008, which met the same fate. This civil appeal is against thes...