© Copyright 2024. All Rights Reserved by ABC Partners
There are several tax authority orders by which an assessee may feel wronged. The wronged
assessee may file an appeal with the proper forum. In certain circumstances, the tax authority that
was wronged might also appeal. The Taxes Appellate Tribunal is one of the appeal authorities that
may be used. The Supreme Court’s High Court Division also allows for the performance of appeals.
The Income Tax Ordinance of 1984, often known as Tax Litigation, has the aforementioned appeal
facilities.
Orders of the following kind may aggrieve an Assessee:
Appeal to Inspecting Joint Commissioner of Taxes (IJCT) against the Tax Recovery Officer's order:
Anyone who is disappointed with a Tax Recovery Officer’s (TRO) order issued under Section 139 may
file an appeal within thirty days from the date the order was served. The IJCT, to whom the TRO is
subordinate, will then make a decision on the appeal, which will be conclusive.
Appeal to Additional/Joint Commissioner of Taxes or Commissioner of Taxes against the decision of
the Deputy Commissioner of Taxes: Within 45 days of receiving the relevant order, any aggrieved
assessee—other than a company—must file an appeal with the Additional/Joint Commissioner of
Taxes or Commissioner of Taxes.
Appeal to Commissioner of Taxes against Additional/Inspecting Joint Commissioner of Taxes Order:
Within 45 days of receiving the relevant order, any aggrieved assessee may file an appeal with the
Commissioner of Taxes against the Additional/Inspecting Joint Commissioner of Taxes Order.
An assessee may appeal to the Taxes Appellate Tribunal against the decision of the
Additional/Inspecting Joint Commissioner of Taxes or the Commissioner of Taxes. An assessee must
submit an appeal with the Taxes Appellate Tribunal within 60 days of receiving notice of the appeal
judgment.
Appeal to the High Court Division of the Supreme Court against the Tax Appellate Tribunal’s Ruling:
The assessee or perhaps the Commissioner may file an appeal with the High Court Division of the
Supreme Court within 90 days of receiving the Tax Appellate Tribunal's order.
Alternative Dispute Resolution may be used to settle any dispute an assessee has with a tax body,
the Tax Appellate Tribunal, or the Supreme Court.
Tax Litigation Services by ABC Partners
By presenting legal arguments in support of the taxpayer's interests and in conformity with the
Income Tax Ordinance and Rules, the Tax Expert may resolve legal problems. Submitting a legitimate
appeal on clients' behalf in accordance with the Income Tax Ordinance and Rules. Present at the
hearing with an appropriate response or justification for the contentious issues. Present at the
hearing with an appropriate response or justification for the contentious issues.
ABC Partners has competent professionals and tax experts on who can handle NBR in a manner
that protects the interests of tax payers in order to maximise the satisfaction of our clients.
Contact ABC Partners for further information.
As one of the most experienced tax advisory service providers in Bangladesh, the ABC Partners
would be honoured and more than happy to provide the following services to your esteemed
business:
ABC Associate could provide the following services to the clients:
Speak with a human to filling out a form? call corporate office and we will connect you with a team member help.
© Copyright 2024. All Rights Reserved by ABC Partners