Courts: All CESTAT
Read latest CESTAT judgments and orders on Customs, Central Excise and Service Tax, including classification, valuation, CENVAT credit, refunds and demands.

Liquidated Damages Not Taxable Under Section 66E(e): CESTAT Delhi

Glucose Monitoring Devices Classifiable Under CTH 9027 With BCD Exemption: CESTAT Mumbai

SEZ Service Tax Refund Cannot Be Denied for Technical Omission From Approved List: CESTAT Bangalore

Statutory Compensation for Coal Block Cancellation Not Taxable as Service: CESTAT Kolkata

Composite Cargo Handling Service Cannot Be Classified as GTA When Transportation Is Incidental: CESTAT Hyderabad

Interactive Display Systems Classifiable as ADP Machines Under CTI 84714190: CESTAT Allahabad

Mandi Roads Qualify for Service Tax Exemption as Public-Use Roads: CESTAT Delhi

Composite H&T Contracts Cannot Be Split to Levy GTA Service Tax Under RCM: CESTAT Ahmedabad

Revenue-Sharing Arrangements on Principal-to-Principal Basis Not Taxable as BSS: CESTAT Chennai

EOU Exemption Cannot Be Denied for Capital Goods Used in Integral Quarrying Operations: CESTAT Bangalore

Excise Duty Payable on Royalty Within Normal Limitation; Stowing Excise Duty Not Taxable: CESTAT Kolkata

Composite Works Contracts Not Taxable Under ECIS Before 1 June 2007: CESTAT Hyderabad

CESTAT Delhi Upholds Recovery of Excise Duty as Cenvat Credit Was Not Available on 30 June 2017

Service Tax Demand Quashed as Trading Turnover Was wrongly Treated as Taxable
All CESTAT brings together judgments and orders of the Customs, Excise and Service Tax Appellate Tribunal from benches across India. Decisions cover Customs, Central Excise and Service Tax disputes involving classification, valuation, exemptions, CENVAT credit, refunds, demands, limitation, penalties, confiscation and other indirect-tax matters. Importers, exporters, manufacturers, businesses, advocates and indirect-tax professionals can use this consolidated TaxGuru archive to research CESTAT precedents across benches. Individual CESTAT bench categories are also available for bench-specific decisions.
