Shaheed-e-Millat Road & Nazimabad, Karachi
Litigation & Appeals

Tax Audit Defense & FBR Representation

Formidable defense against FBR tax audits, Section 177/214C notices, Appellate Tribunal representation, and High Court advocacy.

Overview

When FBR Comes Knocking, We Stand Between You

An FBR audit notice can be overwhelming. The penalties for non-compliance, incorrect filings, or missed deadlines can be severe — including fines, asset seizure, and even criminal proceedings.

Our experienced litigators provide a shield between you and the authorities. We handle everything from initial notice response through final resolution at the High Court level.

95%
Success Rate
500+
Cases Handled
24hr
Emergency Response
15+
Years in Courts
WHAT WE OFFER

Complete Litigation Services

FBR Audit Notice Response

Professional handling of Section 177 and 214C audit notices from FBR with timely and accurate rebuttals.

Legal Reply Drafting

Expert drafting of legal replies, rebuttal submissions, and written statements before FBR authorities.

Commissioner Appeals

Representation before Commissioner Inland Revenue (Appeals) for dispute resolution and order challenges.

Appellate Tribunal

Appeals to the Appellate Tribunal Inland Revenue (ATIR) with comprehensive legal documentation.

High Court Writs

Constitutional petitions and writ petitions in High Courts against illegal FBR orders and ultra vires actions.

Stay Applications

Filing of stay applications to prevent recovery proceedings during pending appeals and litigation.

DEFENSE TYPES

Every Stage of Defense

From initial audit notice to final High Court resolution.

Section 177 Audit

FBR conducts detailed examination of your tax records, books of accounts, and supporting documents.

Notice Response
Document Compilation
Hearing Attendance
Order Challenge

Section 214C Investigation

Inquiry into suspected tax evasion, undisclosed income, or fraudulent claims by FBR investigators.

Legal Representation
Evidence Gathering
Rebuttal Drafting
Tribunal Appeal

Commissioner Appeals

First appellate authority for challenging assessment orders, penalty notices, and other FBR decisions.

Appeal Filing
Written Submissions
Hearing Representation
Order Review

ATIR & High Court

Higher appellate forums for complex tax disputes requiring constitutional or statutory interpretation.

Tribunal Appeals
Writ Petitions
Constitutional Practice
Case Monitoring
OUR PROCESS

How We Defend Your Case

01
Same Day

Notice Analysis

We carefully analyze the FBR audit notice, identify the issues raised, and assess the potential tax impact.

02
1-2 Days

Defense Strategy

Our legal team develops a comprehensive defense strategy based on applicable laws, rules, and precedents.

03
3-5 Days

Document Preparation

Compilation of all supporting documents, legal research, and drafting of rebuttal submissions.

04
Ongoing

Representation & Resolution

Direct representation at hearings, filing of appeals, and follow-up until final resolution.

WHY CHOOSE US

Fight Back Against FBR

With 95% success rate and 500+ cases handled, our senior advocates have the courtroom experience and legal expertise to protect your interests at every level.

Courtroom Experience

15+ years of appearing before FBR Commissioners, Appellate Tribunal, and High Courts.

95% Success Rate

Proven track record of favorable outcomes in tax audit defense and appellate litigation.

Emergency Response

Same-day response for urgent FBR notices with immediate stay application filing.

Senior Advocates

Licensed High Court Advocates handling your case with statutory authority and expertise.

FAQs

Frequently Asked Questions

Received an FBR Notice?

Don't panic. Our experienced tax litigators will handle everything from notice response to final resolution.

24hr Emergency Response
95% Success Rate
High Court Advocates