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    Stamp-duty valuation disputes require a valuation reference when requested, preventing unsupported additions under section 56(2)(x).
    Notional rental income requires receipt or accrual; reimbursement-only arrangements cannot support taxation of usage charges.
    Communication of reopening reasons is essential to reassessment jurisdiction; withholding them invalidates the notice and resulting assessment order.
    Specific allegations in Customs Broker notices are essential; vague notices invalidate disciplinary action and consequential licence sanctions.
    Deliberate customs misclassification and wrongful exemption claims justified extended limitation for duty recovery and upheld the demand.
    Transaction value rejection requires reliable corroboration; refundable VAT is excluded and temporary registration does not defeat new-vehicle exempti...
    Appellate jurisdiction remains available where a wrist-worn gold ornament cannot conclusively be characterised as imported baggage at the preliminary ...
    Customs exemption exclusions require proof that imported flavour compounds are alcoholic beverage preparations, not reliance on earlier findings.
    Customs transaction value rejection based on comparable imports sustained, with penalties for deliberate undervaluation and abetment.
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    DPIIT-recognized start-ups gain Source from India access through active IEC status, including an exception to export-realisation eligibility.
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      Central Excise

      Gross violation of CBEC instructions and the precedential value...

      Revenue Appeal Dismissed: Authorities Must Adhere to Tribunal Decisions Without Justification for Deviation.

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      Central ExciseOctober 21, 2024Case LawsAT
      Gross violation of CBEC instructions and the precedential value of CESTAT decisions. The Revenue filed an appeal before the first Appellate Authority without specifying grounds or reasons for departing from the Tribunal's order followed by the Adjudicating Authority. Section 35R(4) is applicable only to the Commissioner (Appeals) and Appellate Tribunal, requiring them to consider circumstances under which an earlier order was accepted and not challenged. This section does not set aside the principle of judicial precedents and the binding nature of higher Appellate Authority orders. Authorities below the Tribunal are bound by its earlier orders. The impugned order set aside the original authority's order solely because the Tribunal's order was accepted due to monetary limits, without stating grounds contrary to the Tribunal's observations. The original authority kept demand notices awaiting the Tribunal's decision and adjudicated accordingly after it set aside the order. The impugned order lacked merits for differing from the available higher Appellate Authority order without specifying grounds, leading to the appeal being allowed.

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      ActsIncome Tax