Deductibility for charitable donations affirmed where payments to approved relief funds, even if CSR-driven, qualify under the donation deduction sche...
Mis-declaration in import descriptions must be deliberate to justify confiscation; withheld contemporaneous import documents invalidate value redeterm...
Page of 4816
Press 'Enter' after typing page number.
5521 to 5540 of 96301 Results
❮
❯
❯❯
0 / 200
Expand Note
Add to Folder
No Folders have been created
+
Are you sure you want to delete "My most important" ?
Classification was determined under the General Rules for Interpretation (GRI): the product's chemical composition and constant elemental ratio establish it as a separately chemically defined compound within Chapter 29. The authority analysed Chapter and Section Notes and explanatory material, found the product is a phospholipid (phosphatidylserine) with a glycerophosphate skeleton conjugated to two fatty acids and Lserine, and treated it as falling within the scope of heading 2923 for lecithins and other phosphoaminolipids. Consequent upon that chemical-character analysis, the product was held classifiable under Tariff Item 2923 2090 of the First Schedule to the Customs Tariff Act, 1975.
Classification was determined under the General Rules for Interpretation (GRI): the product's chemical composition and constant elemental ratio establish it as a separately chemically defined compound within Chapter 29. The authority analysed Chapter and Section Notes and explanatory material, found the product is a phospholipid (phosphatidylserine) with a glycerophosphate skeleton conjugated to two fatty acids and Lserine, and treated it as falling within the scope of heading 2923 for lecithins and other phosphoaminolipids. Consequent upon that chemical-character analysis, the product was held classifiable under Tariff Item 2923 2090 of the First Schedule to the Customs Tariff Act, 1975.
Note: It is a system-generated summary and is for quick reference only.