Overlapping GST proceedings require Central and State authorities to designate one competent authority for coordinated adjudication of the same matter...
Composite healthcare supplies retain exemption when patient care is the contract's essential character, despite payment through an implementing agency...
Receipt of immovable property requires actual possession or enjoyment; redevelopment allotments exchanged for tenancy rights fall outside deemed incom...
Section 80P deduction covers Souharda credit societies, including qualifying surplus-deposit interest, subject to member KYC verification for cash dep...
CESTAT ruled printed thermal paper ATM rolls are classifiable under Chapter 49 (CETH 49019900) as products of printing industry rather than Chapter 48 (CETH 48119099). The tribunal determined that printing on thermal rolls creates a distinct ATM roll product where the printed content (transaction details, instructions, logos) serves a primary rather than incidental purpose. The printed matter and blank portions constitute integrated elements serving informational purposes. Following precedents from similar cases involving thermal papers and printed materials, CESTAT held that when articles are printed, their primary purpose of conveying information makes them appropriately classifiable under heading 49.01. Appeal allowed in favor of the appellant.
CESTAT ruled printed thermal paper ATM rolls are classifiable under Chapter 49 (CETH 49019900) as products of printing industry rather than Chapter 48 (CETH 48119099). The tribunal determined that printing on thermal rolls creates a distinct ATM roll product where the printed content (transaction details, instructions, logos) serves a primary rather than incidental purpose. The printed matter and blank portions constitute integrated elements serving informational purposes. Following precedents from similar cases involving thermal papers and printed materials, CESTAT held that when articles are printed, their primary purpose of conveying information makes them appropriately classifiable under heading 49.01. Appeal allowed in favor of the appellant.
Note: It is a system-generated summary and is for quick reference only.