- By: Mughal Barristers
- taxpayer rights Pakistan
- Jan 12
- Comments (0)
Table of Contents
ToggleIllegal Tax Recovery of PKR 502 Million Stopped by Islamabad High Court
How Strategic Litigation Protected a Chinese Technology Company in Pakistan
Tax authorities in Pakistan hold wide recovery powers. However, those powers are not unlimited. In a reported judgment, the Islamabad High Court firmly clarified that revenue authorities must follow due process before taking coercive action against taxpayers.
In this case, Mughal Barristers represented a Chinese technology multinational operating in Pakistan whose bank accounts were attached during a pending tax dispute. As a result of timely legal intervention, the Court declared the recovery unlawful and ordered full restoration of funds.
The Amount at Risk
The tax department attempted to recover more than PKR 502 Million by attaching the company’s bank accounts. This action disrupted normal business operations, even though the tax demand was still under challenge before the appellate authorities.
Importantly, the law does not allow such recovery when an appeal is pending.
How the Dispute Arose
The issue began when the tax authorities initiated amendment proceedings against an assessment. Meanwhile, the taxpayer exercised its legal right to challenge the demand before the relevant appellate forum.
Despite this, the department proceeded to:
Seek bank account details
Attach operational accounts
Recover funds without issuing mandatory notices
Consequently, the company faced immediate financial pressure without any final determination of tax liability.
Our Legal Strategy
Mughal Barristers adopted a focused constitutional and statutory approach. Instead of limiting the challenge to procedural defects alone, we addressed the core legality of coercive recovery.
1. No Recovery During Pending Appeal
First, we demonstrated that Pakistani courts consistently hold that tax recovery must wait until at least one independent forum reviews the disputed demand. Therefore, any recovery during a pending appeal is unlawful.
2. Mandatory Notices Must Be Issued
Second, we showed that the law requires revenue authorities to issue proper recovery notices and grant the taxpayer the prescribed time to respond. Since the department failed to do so, the entire recovery process became legally defective.
3. Bank Account Attachment Is a Coercive Measure
Most importantly, we established that attaching bank accounts is not a neutral step. On the contrary, it directly affects business continuity and constitutional rights. For that reason, the law demands strict compliance before such action can be taken.
What the Islamabad High Court Held
After examining the record, the Islamabad High Court ruled decisively in favour of the taxpayer.
The Court held that:
Tax authorities cannot adopt coercive measures while an appeal is pending
Bank account attachment amounts to coercive recovery
Recovery without proper statutory notice is unlawful
Any deviation from the prescribed procedure invalidates the action
As a result, the Court:
Set aside the bank account attachment
Declared the recovery of PKR 502 million illegal
Ordered full restoration of the recovered amount
Restrained the department from further recovery until the appeal was decided
2016 P T D 1799
What Mughal Barristers Delivered
Through this litigation, Mughal Barristers successfully delivered:
✔ Protection against unlawful recovery of PKR 502 million
✔ Restoration of funds already recovered
✔ Judicial restraint on aggressive tax enforcement
✔ Business continuity during a live tax dispute
✔ A reported precedent strengthening taxpayer rights
Moreover, this case highlights our ability to combine tax expertise with constitutional advocacy, ensuring lawful limits on administrative power.
Why This Judgment Matters
This decision now serves as an important authority in cases involving:
Bank account attachment by FBR
Section 140 recovery proceedings
Pending income tax appeals
Abuse of recovery powers
Therefore, it provides strong protection for corporate taxpayers facing similar actions.
Final Thoughts
Tax enforcement must follow the law at every stage. Even when revenue is at stake, authorities cannot bypass statutory safeguards or constitutional rights.
Mughal Barristers continues to represent multinational and corporate clients in complex tax disputes, ensuring that due process prevails over administrative overreach.
(Reported Judgment: Islamabad High Court – 2016 PTD 1799)