Governmental authority status supports construction-service exemption, while pre-cutoff contract and stamp-duty compliance requires verification on re...
Automated Free Sale and Commerce Certificates enable paperless processing while retaining risk-based manual verification for selected exporter applica...
Employee stock-shortage penalties do not constitute consideration for services, preventing GST collection under Schedule II in employment relationship...
The adjudicating authority classified the goods 'Bleach-9' manufactured by the assessee under chapter sub-heading 25.05, claiming NIL rate of duty, based on technical opinions stating it is raw clay/washed clay and not Activated Clay/Earth. The opinions mentioned that clay washed with water and dried is not termed 'Activated Clay,' and its properties remain the same as natural clay. The department did not adduce any evidence contradicting these findings, which formed the basis for classifying 'Bleach-9' under Tariff heading 25.05. As no fresh evidence was provided to challenge the orders, the Appellate Tribunal dismissed the department's appeal, upholding the classification under 25.05.
The adjudicating authority classified the goods 'Bleach-9' manufactured by the assessee under chapter sub-heading 25.05, claiming NIL rate of duty, based on technical opinions stating it is raw clay/washed clay and not Activated Clay/Earth. The opinions mentioned that clay washed with water and dried is not termed 'Activated Clay,' and its properties remain the same as natural clay. The department did not adduce any evidence contradicting these findings, which formed the basis for classifying 'Bleach-9' under Tariff heading 25.05. As no fresh evidence was provided to challenge the orders, the Appellate Tribunal dismissed the department's appeal, upholding the classification under 25.05.
Note: It is a system-generated summary and is for quick reference only.