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    Online coaching classified as training services, not OIDAR, making Rajasthan supplies intra-State for tax purposes.
    Draft assessment order must be served first before final assessment, preserving the taxpayer's DRP objection right.
    Merger of intimation into scrutiny assessment bars section 154 rectification based on an earlier adjustment.
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    Reasonable cause defeats tax audit penalty where a society's bona fide compliance lapse was found genuine and non-mala fide.
    TNMM upheld for arm's length pricing; CUP-based transfer pricing adjustment deleted on identical facts.
    Index-based derivatives are not shares under the India-Mauritius DTAA, so gains fall under the residuary residence-based article.
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    Depreciation on land conversion charges denied, but penalty deleted because the underlying tax claim was fully disclosed and debatable.
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    APA-based transfer pricing, MAT book profit review, and consequential interest recomputation were sent back for fresh consideration.
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      Blocking of input tax credit could not be sustained where the...

      Input tax credit blocking based only on cancelled registration fails after restoration, with credit allowed to be used in law.

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      GSTApril 28, 2026Case LawsHC
      Blocking of input tax credit could not be sustained where the impugned action rested solely on cancellation of GST registration and that registration was later restored. Once the cancellation ceased to exist, the foundation for blocking the credit disappeared, and the communication was liable to be withdrawn. The HC therefore quashed the blocking communication and held the petitioner entitled to utilise the input tax credit in accordance with law. Other contentions were not examined on merits and were left open.

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      ActsIncome Tax