FBR tax appeals and litigation by Syed Asad Hussain Zaidi, Advocate of the High Court, Lahore. We represent clients before the Commissioner (Appeals), Appellate Tribunal, and High Court.
Appeal Stages
Commissioner (Appeals) — First level of appeal against FBR assessment orders
Appellate Tribunal Inland Revenue (ATIR) — Second appeal level for complex tax disputes
High Court — Constitutional and legal challenges on tax matters
When to Appeal
You should consider an appeal if you believe the FBR assessment is incorrect, penalties are unjustified, or your deductions were improperly disallowed. Time limits apply — typically 30–60 days from the order date.