Through this constitutional petition filed under Article 199 of the Constitution of Islamic Republic of Pakistan (Constitution), the petitioner has brought a challenge to the order dated 09.02.2023 (Impugned Order) passed under section 74 of the Sales Tax Act, 1990 (Act, 1990) read with section 43(2) of the Federal Excise Act, 2005 (Act, 2005). A collateral challenge is also laid to show cause notices bearing No.LTO/ST/U-3/R-II/23/8809 & No.LTO/ST/U-3/R-II/23/8808, both issued on 23.05.2023 (the "Show Cause Notices") on the premise that since Show Cause Notices are a direct and inseparable offshoot of the Impugned Order, therefore, the same cannot sustain if the Impugned Order falls to the ground due to inherent and palpable defect of jurisdiction.2. Learned counsel for the petitioner while laying confrontal attack to the vires of the Impugned Order has argued that the Impugned Order is not sustainable on any standards of Principles of Administration of Justice as the same is witho...
PRESENT:
(Khalid Ishaq) Judge
Petitioner(s) by: M/s. Muhammad Shoaib Rashid and Minahil Khan, Advocates.
Respondent(s) by: Mr. Shahjahan Khan, Advocate.
Law: Sales Tax Act, 1990
Sections: 74
Law: Federal Excise Act, 2005
Sections: 43(2), 45B, 46
Law: Constitution of Pakistan, 1973
Sections: 10A, 199
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: 2026 PTD 1 | (2025) 132 TAX 548