Appellate Tribunal Inland Revenue
2025
THLN 7440
2025 PTD 1803
Laws Cited
Sales Tax Act, 1990
Sections
2(37), 11(5), 2(46), 11(2), 33(13), 34, 33, 2, 11

COMMISSIONER INLAND REVENUE, ZONE-I, LTO, KARACHI

VS

PAKISTAN STATE OIL COMPANY LIMITED, KARACHI

Petitioner(s) by: Gul Badshah, DR
Respondent(s) by: Haris Tufail, FCA
Present: Sajjad Akbar Khan and Dr. Huma Sodher, Members
JUDGMENT

DR. HUMA SODHER, MEMBER.---The Appellant Department instituted the present appeal in 2019 and assailed the Order dated 09.09.2019 passed by the learned Commissioner Inland Revenue (Appeals), whereby the sales tax demand of Rs.33,855.642 (Million), along with a penalty equal to the principal amount and default surcharge, as raised vide Assessment Order No. 02/2019 dated 03.07.2019, was deleted.Per record, the case originates from an analysis of the Respondent's audited accounts and e-filed sales tax returns for the tax periods from July 2004 to June 2014, which revealed non-payment of sales tax amounting to Rs.33,855.642 (Million) on Price Differential Claim ("PDC") receipts aggregating Rs.199,158.768 (Million) received from the Government of Pakistan. Consequently, show-cause notices dated 09.05.2017 and 30.06.2017 were issued. Thereafter, Assessment Order No. 02/2019 dated 03.07.2019 was passed under Sections 11(2) and 34 of the Sales Tax Act, 1990, raising a demand of Rs.33,855.642 (...