The furniture/display cases imported from Singapore in CKD/SKD form under a single invoice and Bill of Entry possess the ...
[5] It was submitted that as per provisions under Section 75 of the GVAT Act, the Tribunal could not have passed an order of ...
Sec 129 of the CGST Act provides for the provisions relating to detention or seizure of goods or conveyances” or both in case ...
In the case of In re Mangalam Developers (GST AAR West Bengal), the applicant sought clarity on whether interest charges by HDFC Bank Ltd should be considered as inward supply from registered ...
Supply of Baby Carrier with hip seat as manufactured by the applicant shall be covered under HSN 6307 90 and would attract tax @ 5% when sale value does not exceed Rs. 1,000/- per piece and @12% when ...
In the case of AKS Expo Chem Pvt Ltd, the applicant sought an advance ruling on the issuance of tax invoices for their product, Bengel Plus, used in mining operations. The company requested ...
The applicant put forward various scenarios regarding his business operations, specifically addressing the tax implications of buying and selling second-hand jewellery. He indicated that he purchases ...
ITAT Chennai held that salary received for international assignment which is subjected to tax in UK could not be taxed in India. Accordingly, claim of the assessee allowed.
The Securities and Exchange Board of India (SEBI) and Cyber Resilience Framework (CSCRF) has acknowledged that cybersecurity is becoming more and more crucial to preserving market integrity. To ...
ITAT Ahmedabad held that PCIT has taken divergent view from that of AO without giving the basis for invoking of provisions of section 263 of the Income Tax Act. Accordingly, order passed by PCIT u/s.
Madras High Court held that Input Tax Credit [ITC] amount erroneously stated in final portion of the order accordingly matter remanded for fresh consideration.
In the case of In re Tollygunge Club Limited (GST AAR West Bengal), the applicant sought clarification regarding the GST rates applicable to a composite supply of catering services provided along with ...