Head Office Tax Practice · Islamabad

Tax Lawyer in Islamabad | FBR, CIR Appeals & High Court Tax Defense

Based at F-10 Markaz, Islamabad, our senior tax litigation practice represents corporate enterprises, partnerships, and high-net-worth individuals before the Regional Tax Office (RTO) Islamabad, Large Taxpayers Office (LTO), Commissioner Inland Revenue (Appeals), Appellate Tribunal (ATIR), and the Islamabad High Court.

Timeline: Immediate Emergency Stay Relief; Statutory Appeals within 30-Day Deadlines Advocates High Court & Tax Counsel

Who Needs This Service?

Businesses and individuals facing arbitrary FBR income tax assessments, sales tax audits, Section 122 notices, Section 111 unexplained asset inquiries, and bank recovery actions under Section 140.

How It Works (Step-by-Step)

1

Notice Examination & Precedent Analysis

Review the impugned FBR notice, assessment order, or audit findings against the Income Tax Ordinance 2001 and reported judgments of superior courts.

2

Written Defense & Grounds Drafting

Formulate exhaustive, legally reasoned written replies and Grounds of Appeal backed by superior court case laws.

3

Stay of Demand & Recovery Shield

File urgent stay applications before Commissioner (Appeals), Appellate Tribunal (ATIR), or the Islamabad High Court to restrain bank account attachments.

4

Appellate Arguments & Relief Securing

Conduct oral arguments before the appellate authority or Division Bench of the High Court to set aside illegal tax demands.

Documents & Requirements

Statutory documentation split between client-provided records and consultant drafting

Client Records Prepared by Us
Provided By Client
  • Copy of the impugned FBR notice, audit report, or assessment order.
  • Relevant tax return filings, wealth statements, and bank statements.
  • Signed Vakalatnama / Power of Attorney authorizing our advocates.
Prepared By Consultant
  • Comprehensive statutory analysis and defense strategy formulation.
  • Drafting of reply, appeal memo, and interim stay petitions.
  • Regular courtroom appearance and advocacy before tax authorities and High Court.

Engagement & Retainership

Statutory litigation retainership per appellate forum. Zero pricing displayed on public website.

Frequently Asked Questions

If FBR issues a notice under Section 140 attaching your bank account, our advocates can immediately draft and present an emergency stay petition before the Commissioner (Appeals), ATIR, or file a constitutional writ under Article 199 in the Islamabad High Court to suspend the recovery order.
Under Section 127 of the Income Tax Ordinance 2001, an appeal must be filed within thirty (30) days from the date of service of the assessment order. Prompt action is critical to preserve your statutory appeal rights.
Yes. Our practice covers federal Income Tax, federal Sales Tax under FBR, Islamabad Capital Territory (ICT) Sales Tax on Services, and superior appellate court litigation.
Legal Basis: Income Tax Ordinance 2001; Sales Tax Act 1990; ICT (Tax on Services) Ordinance 2001; Constitution of Pakistan 1973 (Article 199). Content last reviewed: October 2026

Need Expert
Legal Counsel?

Free Session
Initial Consultation
100% Secure
Private & Confidential

Request a Callback

Enter your WhatsApp number and our legal team will connect with you shortly.

Typical response: Prompt response during chamber hours