Limitation for final assessment under sections 144C and 153 treated jointly, resulting in quashing of timebarred assessment order and liberty to reviv...
Deductibility of settlement payments for securities law penalties and treatment of unexplained cash credits in share trading -- Tribunal upholds posit...
Threshold for allottee-initiated insolvency petitions in leasehold real estate upheld; petition admitted after possession letters deemed legally ineff...
Contravention of foreign exchange rules in crossborder diamond payments; appellate tribunal reduces one appellant's penalty for delay and proportional...
Parallel tax enforcement on the same subject-matter was held impermissible where the Central Tax Authority had already proceeded against alleged fraudulent availment of input tax credit for the same period. Applying the rule against overlapping coercive action, the Court found the State Tax Authority's provisional attachment of the petitioner's bank accounts unwarranted, arbitrary, and lacking lawful foundation, and quashed the attachment while permitting operation of the accounts. The Court also clarified that independent investigation against suppliers could continue in accordance with law, but it could not justify continued restraint on the petitioner's business or bank accounts.
Parallel tax enforcement on the same subject-matter was held impermissible where the Central Tax Authority had already proceeded against alleged fraudulent availment of input tax credit for the same period. Applying the rule against overlapping coercive action, the Court found the State Tax Authority's provisional attachment of the petitioner's bank accounts unwarranted, arbitrary, and lacking lawful foundation, and quashed the attachment while permitting operation of the accounts. The Court also clarified that independent investigation against suppliers could continue in accordance with law, but it could not justify continued restraint on the petitioner's business or bank accounts.
Note: It is a system-generated summary and is for quick reference only.