REBATE IS NOT “PAYMENT” FOR WITHHOLDING TAX
REBATE IS NOT “PAYMENT” FOR WITHHOLDING TAX Supreme Court Clarifies Scope of Section 153 – Key Tax Law Precedent Case Reference 2026 SCMR 130Supreme Court of Pakistan Case Title: Commissioner Inland Revenue, Lahore v. Messrs Coca Cola Pakistan Limited, LahorePetition: C.P.L.A. No. 2845-L of 2022Decision Date: 3 October 2025 Bench: Munib Akhtar Muhammad Shafi Siddiqui […]