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February 6, 2026

RIAA Wins Pharmaceutical Tax Exemption Case

The Appellate Tribunal Inland Revenue (Karachi Bench) ruled in favour of a leading pharmaceutical multinational, clarifying the scope of sales tax exemptions for therapeutic products. This landmark pharmaceutical tax exemption judgment annulled demands for sales tax, default surcharges, and penalties.

The Appellate Tribunal Inland Revenue (Karachi Bench) recently issued a significant judgment in favour of our client, a leading pharmaceutical multinational, concerning the applicability of a pharmaceutical tax exemption under SRO 551(I)/2008. The dispute centred on whether medicated shampoos and certain health salts qualified for tax exemptions reserved for registered drugs and medicaments.

Background and Dispute

The tax authorities had raised a substantial demand, arguing that the client’s products did not qualify for exemptions under Serial No. 7 of the SRO. The Revenue Department contended that the word “and” in the notification required a substance to be both a registered drug under the Drugs Act, 1976 and a medicament under the Customs Act, 1969 to qualify for the exemption. Additionally, authorities sought to classify medicated shampoos as “cosmetics and toilet preparations,” which are expressly excluded from tax-exempt status.

Legal Arguments

Our team advanced two principal arguments before the Tribunal. First, we demonstrated that the term “and” in the SRO must be read disjunctively (as “or”) to avoid legal absurdity and redundancy—a principle firmly supported by Supreme Court precedents. Second, we presented detailed clinical literature establishing that the medicated shampoos are specifically formulated to treat serious dermatological conditions including psoriasis and eczema. Consequently, their therapeutic purpose distinguishes them from ordinary cosmetic products.

Tribunal’s Decision

The Tribunal accepted our arguments and ruled that a product registered as a drug does not become a cosmetic simply because it can also be used for cleansing. It subsequently annulled the demand for sales tax, default surcharges, and penalties. This judgment will have wide-ranging implications for the consumer health industry, as many brands had previously accepted under regulatory pressure that this pharmaceutical tax exemption was unavailable to them.

“This judgment provides much-needed clarity on the interpretation of tax exemptions, ensuring that therapeutic products are not misclassified for revenue purposes,” said Shahbakht Pirzada (Partner – Pakistan).

For more information on navigating complex tax disputes or pharmaceutical regulations, contact Shahbakht Pirzada today.

This article is not legal advice; it provides information of general interest about current legal issues.

RIAA Barker Gillette is Pakistan’s premier law firm, with an on-the-ground presence in three major cities in Pakistan: Karachi, Islamabad and Lahore, and affiliated offices in Dubai (DIFC) and London. 

The firm practices in all areas of corporate, commercial and dispute resolution law. Leading international legal directories consistently recognise the firm as a top-tier law firm in Pakistan.

RIAA Barker Gillette is the exclusive member firm in Pakistan for Lex Mundi, the world's leading network of independent law firms with in-depth experience in over 125 countries worldwide.

RIAA Barker Gillette is the exclusive member firm in Pakistan for Lex Mundi, the world’s leading network of independent law firms with in-depth experience in over 125 countries worldwide.

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What clients say...

  • Chambers Asia-Pacific 2025

    "RIAA Barker Gillette has always had the most apt ability to handle, manage and steer complex and difficult matters in the right legal direction."

  • Legal 500 2025

    "We have worked with RIAA on a number of complex multi-jurisdictional matters. Throughout, they provided not only exceptional local advice but proved excellent at collaborating with firms across the world. They were instrumental in developing and implementing a comprehensive strategy."

  • Chambers Asia-Pacific 2025

    "Our operation is complex and has many nuances, and they have helped us navigate all of them promptly and professionally."

  • Legal 500 2024

    "Very professional firm, able to provide clear, concise and constructive advice. Proven very astute in formulating overall strategies of engagement."

  • Chambers Asia-Pacific 2024

    "RIAA is highly professional, meeting tight deadlines with the utmost proficiency. They have always come up with out-of-the-box solutions."

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