Co-operative society's mandatory reserve and share capital fixed deposits with banks-interest treated as business income under 80P(2)(a)(iii) deductio...
Income tax reassessment reopening after four years on investigation tip, without s.147 proviso disclosure failure, struck down as borrowed satisfactio...
The dominant issue was whether imported new pneumatic rubber tyres with tread patterns EZ-330, CB919, CB905, and CB332 were classifiable as OTR mining tyres under CTH 4011 80 00 or as tyres for buses/lorries under 4011 20. Applying GIR 1 read with GIR 3(a), the authority relied on the tyres' technical characteristics-high tread depth, low speed indices, high load indices, bar-lug/block tread design, reinforced cut- and abrasion-resistant sidewalls-and corroborative technical catalogue and engineer certification establishing exclusive off-highway mining use. Consequently, classification under 4011 20 was excluded and the tyres were held classifiable under 4011 80 00. - AAR
The dominant issue was whether imported new pneumatic rubber tyres with tread patterns EZ-330, CB919, CB905, and CB332 were classifiable as OTR mining tyres under CTH 4011 80 00 or as tyres for buses/lorries under 4011 20. Applying GIR 1 read with GIR 3(a), the authority relied on the tyres' technical characteristics-high tread depth, low speed indices, high load indices, bar-lug/block tread design, reinforced cut- and abrasion-resistant sidewalls-and corroborative technical catalogue and engineer certification establishing exclusive off-highway mining use. Consequently, classification under 4011 20 was excluded and the tyres were held classifiable under 4011 80 00. - AAR
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