What is FBR Tax Litigation?
“The legal procedure for settling conflicts, penalties, assessments, audits, and any disputed rulings made by the Federal Board of Revenue (FBR) Pakistan is known as FBR Tax Litigation”.
In compliance with the Federal Excise Act of 2005, the Sales Tax Act of 1990, and the Income Tax Ordinance of 2001, any taxpayer—individual, corporate, or business—has the legal right to submit appeals before respective appellate tribunals in order to challenge an adverse ruling.
These could consist of the Commissioner Appeals, Appellate Tribunal Inland Revenue (ATIR), and in more advanced phases, the High Court or Supreme Court of Pakistan.
Tax litigation becomes critical when FBR Issue instances some instances involve tax demand notices, additional assessments, penalties, audits, withholding problems, sales tax mismatches, profile suspensions, refund rejections, and categorization disputes.
In addition to the complexities of Pakistani tax rules, taxpayers require expert assistance in order to properly claim their rights, offer factual evidence, and present their case.
How ULA Provides FBR Tax Litigation and Consulting Services to Its Clients?
Our competent legal and tax attorneys at United Law Associates (ULA) provide comprehensive litigation and tax advisory services. We have been representing individuals, SMEs, large enterprises, and multinational corporations in complex FBR issues for more than 15 years.
We offer the following litigation services:
By guaranteeing strict compliance, appropriate documentation, and accurate tax filing, and prompt responses to FBR, “ULA also offers tax consulting to assist clients in avoiding litigation”.
Our goal at ULA is to safeguard our clients’ financial and legal interests by providing dependable tax litigation assistance, knowledgeable legal counsel, and strategic counsel, guaranteeing equitable treatment and successful resolutions in all FBR disputes.


