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Equities plummet on super tax blow

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KARACHI: After overnight snapping of a three-session downturn, the equities fell like a house of cards at Pakistan Stock Exchange (PSX) on Thursday as super tax started taking its toll on corporate profitability, which triggered panic-selling by investors across the board, dragging the benchmark KSE-100 index down by over 4,000 points below 179,000 intraday.

However, late value hunting towards the end of the session helped the index trim some of its staggering losses and managed to settle above the 180,000 milestone. However, the equity investors lost over Rs271.7bn in market capitalisation in a single session.

Topline Securities said bears came out swinging, tightening their grip on the market right from the opening bell. Sentiment turned sour after Engro Fertiliser’s 4Q2025 results fell short of street expectations due to lower-than-expected gross margins, along with the one-time recognition of a super tax charge of Rs2bn, which reduced earnings per share to Rs6.26 and a muted dividend payout of Rs4.

The disappointment acted as a trigger, shifting momentum decisively in favour of the sellers.

KSE-100 index sheds 2,537 points amid panic sell-off

The index remained under relentless pressure throughout the session, nosediving to an intraday low of 4,324.56 points before closing at 180,512.65, down 2,537.16 points or 1.40 per cent. Local institutions appeared to lead the selling charge, keeping bulls firmly on the defensive.

The E&P sector took the heaviest hit, with Pakistan Petroleum Ltd (PPL) and Oil and Gas Development Company Ltd (OGDCL) alone shaving off 383 points from the index. Meanwhile, Engro Fertiliser, Hub Power, Systems Ltd, and Bank Al-Habib collectively dragged the index down by another 645 points, amplifying the rout.

On the activity front, volumes remained robust at 873million shares, with turnover clocking in at Rs 41.7 billion. K-Electric dominated the volumes chart, churning 176 million shares.

Ali Najib, Deputy Head of Trading at Arif Habib Ltd (AHL), attributes the negative session to market sentiment succumbing to selling pressure amid rumours surrounding Barrick Gold’s recent comprehensive review of its “Reko Dik Project” investments, in the backdrop of deteriorating security situation in Balochistan.

Market sentiment retreated following reports that Barrick Gold is conducting a comprehensive review of its Reko Diq project amid concerns over the deteriorating security situation in Balochistan. The speculation triggered broad-based selling, particularly across energy sector stocks. However, value buying in the final trading hour helped the index cut some early losses.

Inflation, which rose to 5.8pc in January, is expected to climb toward 8pc, dimming hopes of any near-term softening of monetary policy. IMF urges a tight stance; FY26 inflation seen averaging 6.2pc amid oil risks, reported Bloomberg.

Market participation remained higher than the previous session, with trading volume rising almost 19pc to 874m shares and traded value increasing 18pc to Rs41.7bn, indicating investors rushed to exit amid persistent volatility.

Analysts think a close above the 180,000 level in the fin al session of the week is crucial to signal continued consolidation and stability. Failure to hold this threshold could expose the index to further downside pressure in the coming sessions.

Published in Dawn, February 13th, 2026



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Bearish momentum carries into early trading as KSE-100 sheds 1716.51 points

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Pakistan Stock Exchange’s (PSX) benchmark index, KSE-100, was trading in the red at 11am on Friday.

The index shed 1716.51 points during early intraday trading, a 0.95 per cent drop from its previous close of 180,512.64 points on Thursday.

The top active stocks were led by K-Electric Limited, rising 2.19pc to Rs8.40 at a volume of 32,163,790, followed by Hum Network Limited, rising 10.01pc to Rs12.20 at a volume of 27,375,937, and Pakistan International Bulk Terminal, rising 0.83pc to Rs19.55 at a volume of 23,299,378.

LSE Capital Limited led the top advancers, rising 41.53pc to Rs2.59 at a volume of 5,348,697, followed by 786 Investments Limited advancing 10.02pc to Rs16.25 at a volume of 373,943, and Apna Microfinance Bank Limited rising 10.02pc to Rs21.74 at a volume of 36,071.

The top decliners were led by Ahmad Hassan Textile Mills Limited, falling 9.86pc to Rs76.11 at a volume of 81, followed by Shadman Cotton Mills Limited, falling 7.71pc to Rs48.02 at a volume of 11, and Saritow Spinning Mills Limited, declining 7.64pc to Rs28.77 at a volume of 2,703.

The index’s last session was marred by volatility on account of Engro Fertilizer’s fourth quarter 2025 results falling short of street expectations, which triggered a shift in momentum decisively in favor of sellers, according to Topline Securities. Investors wait to see whether this bearish momentum persists.





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CSR integral to modern business strategy: Qaiser

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ISLAMABAD: Corporate Social Responsibility has become an integral part of modern business strategy, and that investment is not merely about economic indicators but about improving lives, creating jobs, reducing poverty, and strengthening social stability, said Board of Investment (BoI) Minister Qaiser Ahmed Sheikh on Thursday.

Speaking at the annual CSR Summit, the minister emphasised that businesses today are key partners in social progress alongside economic growth.

He underlined that investment in human resources is the key to poverty reduction and economic stability. Without strengthening education, research, and skill development, sustainable progress cannot be achieved, underscoring the continued importance of public–private partnerships for inclusive, long-term development.

He called upon investors, industrialists, and business leaders to align their investment objectives with social responsibility and expand CSR initiatives in education, healthcare, environmental protection, skill development, and community welfare.

He expressed the confidence that through strong collaboration between the government and the private sector, Pakistan can achieve sustainable, inclusive, and investment-friendly economic growth.

The BoI reaffirmed its commitment to providing maximum facilitation and guidance to investors through transparent and efficient one-window operations.

Referring to China’s journey of sustainable growth, the minister noted that over the past four decades, China lifted hundreds of millions out of poverty through long-term planning, industrial policy, technological advancement, and consistent investment in education and skills development. He stated that China’s economic transformation demonstrates that quality education, innovation, and human capital development are fundamental pillars of sustainable growth.

He said that the government was implementing comprehensive regulatory reforms and investment-friendly policies to stabilise and strengthen the national economy. Measures to enhance ease of doing business, ensure regulatory transparency, and facilitate investors are being actively pursued.

Incentives, including income tax exemptions and customs duty concessions in Special Economic Zones, are being provided to attract both local and foreign investment. He particularly highlighted the Business Facilitation Centre (BFC), which provides a single-window facilitation mechanism to investors, ensuring streamlined approvals, reduced processing time, and effective resolution of operational issues.

Published in Dawn, February 13th, 2026



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Lahore High Court curtails FBR’s suo motu powers

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RAWALPINDI: The Lahore High Court’s (LHC) Rawalpindi bench has curtailed the Federal Board of Revenue’s (FBR) suo motu power to amend deemed tax assessments, ruling that Section 122(5A) of the Income Tax Ordinance, 2001, cannot be used for “roving or fishing inquiries” or speculative revenue recovery.

In an income tax reference, titled Commissioner Inland Revenue versus Sajid Hussain Gondal and others, Justice Mirza Viqas Rauf and Justice Jawad Hassan laid down guidance on the scope and limits of amendment powers under Section 122, bringing long-awaited doctrinal clarity to a provision frequently invoked by tax authorities.

The reference application, filed under Section 133 of the ordinance, challenged an order of the Appellate Tribunal Inland Revenue (ATIR), which had set aside an amendment made to a taxpayer’s deemed assessment for tax year 2019. The tribunal had earlier ruled that the FBR’s use of Section 122(5A) in the case was unlawful.

The taxpayer, Sajid Hussain Gondal, had filed an income tax return for 2019, which became a deemed assessment under Section 120 of the ordinance. Subsequently, the Additional Commissioner of Inland Revenue issued a show-cause notice under Sections 122(9), 111(1), and 122(5A), alleging discrepancies in declared gross revenue, purchases under Section 236A, deductions under Section 153, profit and loss expenses, and capital declarations.

The tax department claimed that these discrepancies rendered the deemed assessment erroneous and prejudicial to the interest of revenue, justifying an amendment under Section 122(5A). Despite the taxpayer’s explanation, the assessment was amended in June 2022, an action later upheld by the Commissioner (Appeals) but ultimately struck down by the ATIR in November 2023.

In a detailed ruling, the LHC reaffirmed that a deemed assessment under Section 120 cannot be unsettled lightly and drew a clear legal boundary between Section 122(5) and Section 122(5A).

It said Section 122(5) applies where an amendment is based on audit findings or definite information indicating escaped income, under-assessment, misclassification or excessive relief. By contrast, Section 122(5A) is revisional in nature and can be invoked only when the assessment order is both erroneous and prejudicial to the interest of revenue.

The bench stressed that both conditions must coexist, and that mere suspicion, arithmetic mismatch or perceived revenue loss does not meet the statutory threshold.

Justice Rauf observed that Section 122(5A) does not grant open-ended authority to revisit assessments. Rather, it is meant to correct glaring and apparent errors committed by the assessing officer where such errors are demonstrably harmful to revenue.

“The revisional jurisdiction under Section 122(5A) is not a licence for roving or fishing inquiries,” the high court held, adding that the alleged error must be evident from the record, and the claimed prejudice must be legally demonstrable, not conjectural.

Published in Dawn, February 13th, 2026



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