Transaction value cannot be rejected solely on non-statutory valuation guidelines without corroborative evidence supporting reassessment of final cust...
Cross-examination rights and corroborated evidence limit customs penalties for misdeclaration in genuine import transactions involving documented clea...
Tariff classification of vehicle gear components follows the specific gearing entry, displacing motor-vehicle parts classification and related liabili...
Necessary-party requirements limit impleadment of independent entities, while deferred consideration does not create an appealable adverse determinati...
Food supplement classification requires common parlance and authoritative tests, preventing treatment as proprietary Ayurvedic medicines without suppo...
A resident individual under the new tax regime was held entitled to rebate under section 87A even though part of the income was short-term capital gains taxed under section 111A, because neither section 87A nor section 111A contained an express exclusion for such income in the relevant assessment year. The Tribunal applied earlier coordinate-bench rulings, reasoning that the new-regime provision governs tax computation while the rebate continues to apply to the tax so computed unless specifically barred by law. As the Revenue showed no change in facts or law and no contrary material, the disallowance of rebate was deleted for AY 2024-25.
A resident individual under the new tax regime was held entitled to rebate under section 87A even though part of the income was short-term capital gains taxed under section 111A, because neither section 87A nor section 111A contained an express exclusion for such income in the relevant assessment year. The Tribunal applied earlier coordinate-bench rulings, reasoning that the new-regime provision governs tax computation while the rebate continues to apply to the tax so computed unless specifically barred by law. As the Revenue showed no change in facts or law and no contrary material, the disallowance of rebate was deleted for AY 2024-25.
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