Straight-line lease rental accounting change results in penalty quashed where disclosed accounts and bona fide arguable accounting interpretation exis...
Allocation of enhanced FSI/TDR proceeds between cooperative society and individual flat-owners; tribunal deletes society LTCG addition, remits 80P ver...
Imported inductors intended for use in manufacturing telecommunication equipment were held to have a specific tariff heading under Ch. 85; applying GRI 1 and Note 2(a) to Section XVI, they were classified as "other inductors" under CTI 85045090 (not choke coils), rendering classification as parts under any alternative heading unnecessary. The nil BCD exemption under Sl. No. 5 of N/N. 25/2005-Cus was denied because the entry covers "other inductors for power supply" of ADPM/telecommunication apparatus, whereas the goods were for PCBA within telecommunication devices, not for power supply units; applying strict interpretation of exemptions, benefit was refused and merit duty held payable. - AAR
Imported inductors intended for use in manufacturing telecommunication equipment were held to have a specific tariff heading under Ch. 85; applying GRI 1 and Note 2(a) to Section XVI, they were classified as "other inductors" under CTI 85045090 (not choke coils), rendering classification as parts under any alternative heading unnecessary. The nil BCD exemption under Sl. No. 5 of N/N. 25/2005-Cus was denied because the entry covers "other inductors for power supply" of ADPM/telecommunication apparatus, whereas the goods were for PCBA within telecommunication devices, not for power supply units; applying strict interpretation of exemptions, benefit was refused and merit duty held payable. - AAR
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