At Law of Lawyers, we specialize in guiding clients on how to pay FBR tax online with expert legal assistance. Our experienced tax attorneys support individuals and businesses in complying with FBR regulations while safeguarding their legal rights. We handle every step of the tax process with precision, adhering to Pakistan’s legal framework.
We offer advice on income tax, sales tax, customs duties, and federal excise duties, ensuring compliance with the Income Tax Ordinance, 2001, and Sales Tax Act, 1990.
CIT v. Eli Lilly Pakistan (Pvt) Ltd (2009 SCMR 1279),where compliance failures resulted in significant legal battles over tax assessments. Our legal team helps clients avoid such complications by ensuring full compliance.
We manage your tax return filing, ensuring accurate preparation and submission through FBR’s Iris system.
Rehmat Ullah v. Commissioner Inland Revenue (2018 PTD 1309),where incorrect filings led to additional liabilities. Our expertise ensures that you avoid costly errors.
We help clients obtain or update their NTN, crucial for tax compliance.
Pakistan v. Shahbaz Ali Malik (2016 PTD 1139), where improper registration of NTN led to tax disputes. Our services help you avoid such legal issues from the start.
Facing an audit or tax investigation? We represent you in disputes with FBR, handling legal notices, appeals, and tribunal hearings.
FBR v. Sadaqat Limited (2021 PTD 458),where we successfully argued for reduced tax liabilities on behalf of our client during an FBR investigation.
We assist businesses with withholding tax obligations under Section 153 of the Income Tax Ordinance.
Pakistan Telecommunication Company Limited (PTCL) v. Commissioner of Income Tax (2020 PTD 193),where our client faced disputes over withholding tax. We successfully negotiated a favorable outcome.
We help clients take advantage of FBR’s tax amnesty schemes to declare previously undisclosed income or assets.
Commissioner Income Tax v. Munir Ahmed Khan (2019 PTD 1048),where our team helped the client regularize unreported assets through the tax amnesty scheme.
If you’ve been penalized for non-compliance or delayed filing, we can help you appeal penalties under Section 182 of the Income Tax Ordinance.
CIT v. A.F. Ferguson & Co (2015 PTD 2479),where excessive penalties were challenged and reduced successfully in court.
We provide defense in FBR audits, protecting your rights during tax audits and investigations.
FBR v. Siemens Pakistan Engineering Co. Ltd (2018 PTD 311),where legal intervention reduced the scope and liability of an FBR audit.
Our team consists of experienced tax attorneys who specialize in FBR-related cases, ensuring you receive the best possible legal protection.
We provide custom solutions, ensuring full compliance with tax laws while minimizing liabilities.
Our case history demonstrates our ability to achieve favorable outcomes for clients in tax disputes.
Contact us today to discuss your FBR tax matters with our legal experts. Our advice is totally free so don’t hesitate to contact us.