The draft amendment makes executive directions binding for intermediaries to retain safe harbour. Non-compliance can expose platforms to legal liability for third-party content.
The Court held that input tax credit cannot be denied to bona fide recipients who have complied with all legal requirements. The key takeaway is that supplier default alone cannot penalize genuine buyers.
The Supreme Court held that tax exemptions are concessions and can be withdrawn in public interest, rejecting claims of vested rights. However, it ruled that such withdrawal must be reasonable and provide a one-year notice period to avoid hardship.
The Bill replaces imprisonment and fines with fixed civil penalties for procedural defaults. This marks a major shift toward ease of compliance while maintaining accountability.
This article explains legal options for recovering debts when borrowers relocate from the UAE to India. The key takeaway is that structured strategy and documentation are essential for enforcement.
71.8%AI A masala dosa served for ₹100 looks deceptively simple. But behind that single plate lies an entire economy farmers, miners, refiners, manufacturers, logistics operators, warehouses, and restaurants, each link governed by a distinct legal architecture.
The court restrained dissemination of defamatory content related to a film before its release. It held that a prima facie case and irreparable harm justified urgent interim protection.
Performance-linked tax and stamp duty incentives are driving GCC expansion beyond metro hubs. The key takeaway: structured reliefs can unlock sustainable regional growth and commercial real estate demand.
The High Court held that pharma R&D and clinical trial services provided to overseas clients qualify as export under the IGST Act. As the place of supply is the recipient’s location abroad, such services are not liable to GST.
The Court held that the product fits within the specific “fruit drink” entry under UPVAT and cannot be taxed under the residuary entry at 12.5%. Regulatory food classification was deemed irrelevant for VAT purposes.