The case of I.T.I. Ltd v. State of Kerala before the Kerala High Court revolves around the eligibility of transit sales exemption for goods purchased in 2001-02 but sold in 2002-03. The petitioner contends that subsequent sales in 2002-03 should be exempt, but the tribunal ruled otherwise.
Explore the Delhi High Courts decision on whether intimation under Section 143(1) can be revised under Section 264 of the Income-tax Act, 1961. Learn the implications for taxpayers.
Kerala High Court’s landmark judgment dispels the misconception that lack of custodial interrogation alone is grounds for anticipatory bail.
Learn how amendments to Section 16 of IGST Act affect zero-rated supplies to SEZ units for authorized operations. Ensure compliance with updated procedures and documentation.
The Statewise List of the 543 Members of Parliament elected in the transformative 2024 Lok Sabha Elections offers a panoramic view of India’s democratic mosaic, showcasing the diverse voices and aspirations that converge within the halls of power. Result of the election were declared on 4th June 2024. From the bustling urban centers to the […]
Delhi High Court quashes a demand of Rs 22 lakhs against Udayraj Yadav due to improper uploading of Show Cause Notice in GST portal. Full text of judgment included.
Dive into the customs duty exemption dispute between Halbit Avionics Pvt Ltd and the Commissioner of Customs (CESTAT Bangalore). Detailed analysis of imports for aircraft upgradation and eligibility for duty exemption.
Read the full text of the CESTAT Chennai order on the classification of Sweet Pearl P200 containing 99% Maltitol Crystals. Analysis, conclusion, and consequential benefits discussed.
CESTAT Bangalore’s ruling emphasizes customs adherence to DGFT notifications. In Specta Decor Pvt Limited vs. Commissioner of Customs case, a redemption fine is reduced due to unforeseen circumstances.
Delhi High Court quashes demand order under CGST Act due to lack of opportunity to reply to GST SCN. Detailed analysis and implications discussed.