Skip to main content

SmartCareTax

Placeholder Image

Tax Appeal to CIR(A) & ATIR


Tax Appeals

Tax Appeal to CIR(A) & ATIR

Drafting and filing formal tax appeals before Appellate Authorities.

Fast Turnaround

Handled by certified FBR & SECP consultants.

100% Tax Compliant

Aligned with FBR Iris & SECP rules.

Dedicated Support

Full consultation to final certificate.

Overview & Legal Framework

If FBR officers pass an adverse tax assessment order, taxpayers have the statutory right to file an appeal before Commissioner Inland Revenue Appeals – CIR(A) and Appellate Tribunal Inland Revenue – ATIR.

Required Documents & Credentials

  • FBR Order-in-Original / Assessment Order
  • Demand Notice under Section 137
  • Grounds of Appeal & Statement of Facts

Step-by-Step Process

1
Grounds of Appeal Prep

Drafting strong legal & factual grounds of appeal.

2
Submission

Filing appeal petition before CIR(A) registry.

3
Hearing Defense

Appearing before Appellate Commissioner to present oral arguments.

Frequently Asked Questions (AEO & FAQs)


A: Appeals must be filed within 30 days from the date of receiving the assessment order.

Need Professional Assistance with Tax Appeal to CIR(A) & ATIR?

Consult SmartCareTax certified tax practitioners today for fast, reliable processing.

Get Free Consultation