The court held that the seized quantity was intermediate, making strict bail conditions under Section 37 inapplicable. It granted bail considering custody period and case facts. The ruling clarifies bail eligibility in such cases.
The Tribunal held that compensation under the BSNL VRS-2019 scheme qualifies as retrenchment compensation under Section 10(10B). It ruled that the entire amount is a capital receipt and fully exempt from tax.
The tribunal held that insufficient stamping of a loan agreement does not invalidate insolvency proceedings. Default was established through other documentary evidence. The ruling emphasizes substance over technical defects.
The court held that delay in filing returns can bar deduction under Section 80P. It directed the taxpayer to seek condonation under Section 119(2)(b). The ruling emphasizes compliance with statutory timelines.
The tribunal held that penalty cannot be imposed where there is no intentional misdeclaration. The presence of seeds was detected only after testing. The ruling highlights the importance of proving mens rea for penalties.
The court held that rejecting an appeal solely due to non-appearance is improper. Authorities must consider written submissions and pass a reasoned order. The ruling reinforces fair adjudication principles.
The issue involved cancellation of GST registration for non-filing of returns. The Court held that registration can be revived if pending returns and dues are cleared as per prescribed conditions.
The issue involved cancellation for non-filing of returns during the pandemic. The Court held that registration can be restored subject to filing returns and payment of dues.
The issue involved SBN deposits treated as unexplained despite being part of recorded sales. The Tribunal held that taxing the same amount again results in impermissible double taxation.
The issue involved cash deposits during demonetization treated as unexplained. The Tribunal held that deposits backed by recorded sales cannot be taxed under Section 68.