Section 115BBE classification requires a valid deeming-provision basis before special taxation, while the enhanced rate's temporal application remains...
Coercive recovery during GST searches is restrained pending scrutiny, preserving normal business operations and requiring adherence to investigation g...
COVID-19 limitation exclusion and destination-specific e-way bills govern revisional timelines and penalties for undocumented third-party plywood deli...
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Electronic records used to establish clandestine manufacture and clearance require compliance with prescribed statutory conditions, including the requisite certificate; without it, CD data and computer printouts are inadmissible and cannot determine unaccounted production or removals. Duty demands founded on excluded electronic data require fresh quantification solely from independently admissible evidence. Cross-examination of investigation witnesses is not absolute: unretracted statements may be considered where no evidence of coercion or witness-specific prejudice from denial of cross-examination is shown. Such statements, together with invoices, transport, weighment and statutory records, may support independently established transactions, while interest and penalties must be redetermined with any duty liability ultimately found.
Electronic records used to establish clandestine manufacture and clearance require compliance with prescribed statutory conditions, including the requisite certificate; without it, CD data and computer printouts are inadmissible and cannot determine unaccounted production or removals. Duty demands founded on excluded electronic data require fresh quantification solely from independently admissible evidence. Cross-examination of investigation witnesses is not absolute: unretracted statements may be considered where no evidence of coercion or witness-specific prejudice from denial of cross-examination is shown. Such statements, together with invoices, transport, weighment and statutory records, may support independently established transactions, while interest and penalties must be redetermined with any duty liability ultimately found.
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