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    Agricultural land character at transfer determines capital-gains treatment despite purchaser obtaining later non-agricultural-use permission.
    Accommodation-entry interest is disallowed, but tax withholding is excluded and unsupported estimated commission additions fail.
    Transitional reassessment limitation preserves the old regime's time bar, invalidating notices issued after the applicable period expired.
    Deemed annual value of completed unsold developer units must use municipal rateable value, subject to verified purchaser-advance exclusions.
    Joint development agreements defer taxable transfer where possession lacks part performance, while completed flats determine consideration and exempti...
    Benami share attachment upheld on traced funding and control, while unlisted demat shares required release to their rightful owner.
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    Transaction value follows the renegotiated price actually paid by an unrelated subsequent importer after the original consignee defaults.
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    Moratorium asset restoration permits consequential directions to replenish the insolvency estate despite no finding of fraudulent trading.
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    Manufacture requires a distinct marketable commodity; photocopier module kitting without assembly does not attract central excise duty.
    Natural gas compression solely for transport, followed by decompression before sale, does not constitute manufacture of compressed natural gas.
    Mandatory company arraignment governs cheque dishonour liability; Section 319 CrPC cannot cure an omitted company accused.
    Same-transaction test governs whether multiple cheating allegations under one conspiracy may proceed through a single FIR and joint trial.
    Road and Infrastructure Cess on exported petrol and diesel is revised through a substituted rate effective upon Gazette publication.
    Special Additional Excise Duty on exported aviation turbine fuel is revised through substitution of the applicable effective rate.
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      Companies Law

      Tender eligibility conditions based on financial...

      Tender creditworthiness conditions may extend to de facto Promoter Directors, with post-participation challenges generally barred absent arbitrariness.

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      Companies LawJuly 24, 2026Case LawsHC
      Tender eligibility conditions based on financial creditworthiness may exclude companies whose Promoter Directors are defaulters or associated with non-performing credit facilities, because persons controlling a closely held company affect its commercial standing. The discussion treats a "Promoter Director" as extending beyond formal promoter classification to a person exercising direct or indirect control over management or policy, including through continuing executive functions. Tender terms remain within the contractual domain, with judicial review limited to arbitrariness, irrationality, mala fides or bias. A bidder that participates with knowledge of the conditions and undertakes compliance cannot ordinarily challenge them after disqualification. The reported decision found no manifest arbitrariness or Article 14 violation, while leaving the underlying question of default open in the pending writ petition.

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      ActsIncome Tax