FBR Income Tax Slabs FY 2024-25 & 2025-26: Complete Guide for Salaried & Business
Detailed breakdown of the updated FBR tax slabs for salaried individuals, business owners, and Association of Persons (AOPs), including high earner surcharges.
20+ Years of Legal Excellence — Trusted advocates with over two decades of experience in civil, criminal, family, rent, corporate and tax litigation, successfully safeguarding the interests of 5,000+ businesses and high-net-worth clients under one roof.
From complex litigation to corporate advisory our advocates provide out of the box practical legal solutions tailored to individuals, businesses and institutions.
HISK LEGAL is a full-service law firm in Pakistan led by Hafiz Irfan Shabber Kayani, Advocate High Court, Founder & CEO. With over 20 years of advocacy experience, the firm provides strategic, commercially focused legal counsel and representation across tax and FBR matters, corporate and commercial law, civil and criminal litigation, and High Court proceedings.
We combine rigorous legal analysis, practical strategy and dedicated client representation to protect our clients’ interests, manage legal risk and pursue effective solutions through aggressive litigation in complex legal and commercial matters.
Under the leadership of Founder & CEO Hafiz Irfan Shabber Kayani, HISK LEGAL combines rigorous statutory analysis with proactive courtroom advocacy. Our practice encompasses Civil, Criminal, Corporate, Banking, Property, and Tax law.
Emergency Relief: Immediate stay orders in Civil Cases, Family and Guardian Petitions and against FBR bank account attachments & recovery notices.
Effective Appellate Advocacy: Proven records of appellate litigation before High Courts, District and Sessions Courts, Appellate Tribunals & Commissioner Appeals
A thorough understanding of Pakistani law, procedure and the complexities of every matter we undertake.
Careful assessment, practical advice and a focused strategy designed around each client's objectives and legal position.
Strong, well-prepared advocacy and determined representation before courts and relevant forums.

Advocate High Court | Founder & Chief Executive Officer, HISK LEGAL
Detailed breakdown of the updated FBR tax slabs for salaried individuals, business owners, and Association of Persons (AOPs), including high earner surcharges.
Section 7E levies a 5% deemed rental income tax on immovable properties. Learn which properties qualify for exemption and how to obtain FBR Form A certificates.
Pakistani software houses, IT exporters, and tech freelancers can pay a final concessionary tax rate of 0.25% on foreign export proceeds if PSEB registration conditions are met.
Statutory protection granted to foreign banking remittances under Section 111(4) against FBR unexplained income queries for Overseas Pakistanis.
How High Court constitutional writs under Article 199 grant immediate stay orders against forced bank account recoveries by FBR field officers.
Step-by-step roadmap for single-member companies (SMC-PVT), private limited entities, SECP digital portal filings, and Board of Investment FDI registration.
Navigating input sales tax disallowances, Section 8B 90% input cap restrictions, and provincial revenue authority (PRA/SRB/BRA/KPRA) dual-jurisdiction conflicts.
Legal safeguards for non-resident Pakistanis against illegal property encroachments, power of attorney misuses, and Succession Certificate acquisitions.
Urgent legal remedies available when FBR issues Section 140 notices to commercial banks for attachment of company accounts without notice.
Defending corporate borrowers and commercial clients in Banking Court suits filed under Financial Institutions (Recovery of Finances) Ordinance 2001.
Detailed breakdown of the updated FBR tax slabs for salaried individuals, business owners, and Association of Persons (AOPs), including high earner surcharges.
Section 7E levies a 5% deemed rental income tax on immovable properties. Learn which properties qualify for exemption and how to obtain FBR Form A certificates.
Pakistani software houses, IT exporters, and tech freelancers can pay a final concessionary tax rate of 0.25% on foreign export proceeds if PSEB registration conditions are met.
Statutory protection granted to foreign banking remittances under Section 111(4) against FBR unexplained income queries for Overseas Pakistanis.
How High Court constitutional writs under Article 199 grant immediate stay orders against forced bank account recoveries by FBR field officers.
Step-by-step roadmap for single-member companies (SMC-PVT), private limited entities, SECP digital portal filings, and Board of Investment FDI registration.
Navigating input sales tax disallowances, Section 8B 90% input cap restrictions, and provincial revenue authority (PRA/SRB/BRA/KPRA) dual-jurisdiction conflicts.
Legal safeguards for non-resident Pakistanis against illegal property encroachments, power of attorney misuses, and Succession Certificate acquisitions.
Urgent legal remedies available when FBR issues Section 140 notices to commercial banks for attachment of company accounts without notice.
Defending corporate borrowers and commercial clients in Banking Court suits filed under Financial Institutions (Recovery of Finances) Ordinance 2001.
Hear from individuals and businesses who have entrusted HISK LEGAL with their most important matters.
"FBR issued a Rs. 3.8 Crore tax demand by reclassifying our IT export proceeds under normal corporate tax. The legal team at HISK LEGAL took our case to the High Court and secured a complete stay and victory. Exceptional legal service."
"We were facing massive Section 7E property tax demands on our commercial holdings. HISK LEGAL handled our valuation appeals and secured FBR Form A exemption certificates smoothly. Highly recommended."
"Our sales tax input credits were arbitrarily disallowed during an FBR & PRA joint audit. HISK LEGAL filed a tribunal appeal and cleared all assessments without penalty. True legal professionals."
"I transferred funds from the UK to purchase commercial property in Pakistan and received an FBR audit notice under Section 111. HISK LEGAL established foreign remittance protection under Sec 111(4) instantly via WhatsApp. Extremely convenient."
"FBR issued a Rs. 3.8 Crore tax demand by reclassifying our IT export proceeds under normal corporate tax. The legal team at HISK LEGAL took our case to the High Court and secured a complete stay and victory. Exceptional legal service."
"We were facing massive Section 7E property tax demands on our commercial holdings. HISK LEGAL handled our valuation appeals and secured FBR Form A exemption certificates smoothly. Highly recommended."
"Our sales tax input credits were arbitrarily disallowed during an FBR & PRA joint audit. HISK LEGAL filed a tribunal appeal and cleared all assessments without penalty. True legal professionals."
"I transferred funds from the UK to purchase commercial property in Pakistan and received an FBR audit notice under Section 111. HISK LEGAL established foreign remittance protection under Sec 111(4) instantly via WhatsApp. Extremely convenient."