811/2019 Spl:Sales Tax Ref: A. Ameer Bux Qureshi (Applicant) V/S Appellate Tribunal SRB & others (Respondent)
Sindh High Court
Bench: Hon'ble Chief Justice Mr. Justice Aqeel Ahmed Abbasi, Hon'ble Mr. Justice Zulfiqar Ahmad Khan(Author)
Order Date: 10-SEP-21
The foregoing position of law makes it clear in our minds that the nature of transaction of sale/purchase of goods between the manufacturer and the applicant established through the agreement/appointment letter aims to propel a service performed by the applicant which could rightly fall under the head of supply chain management/ distribution (including delivery) service, hence attracts the provisions of the 2011 Act, and the Tribunal did not misinterpreted or misapplied the relevant tariff heading 9845.0000 to the case of the applicant. Resultantly Question Nos. I and II are answered in Affirmative and the Question No. III is answered in NegativeFull judgment text for this case is not yet available on Pakistan Law Reports. Check the official Sindh High Court case law portal for the complete order.
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