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      TaxTMI Updates e-Newsletter
      Aug 06,2026

      Contents
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      41 Highlights Toggle
      9 Articles Toggle
      By: Jayaprakash Gopinathan
      Summary: Administrative discretion must serve statutory purpose, legality, proportionality, reason and public interest, not departmental prestige or institutional rivalry. Government agencies should resolve differences through coordination, consultation and reasoned legal interpretation rather than prolonged confrontation. Litigation is appropriate only where law and public interest require it. Officers must act objectively, fairly and impartially, recognising that firm regulatory enforcement differs from obstinacy. Legitimate trade facilitation and revenue protection are complementary statutory functions.
      By: Raj Jaggi
      Summary: Legacy Service Tax appeals require issue-based forum selection. Appeals involving ordinary substantial questions of law follow the High Court route, while disputes concerning taxability, classification, rate, valuation, or assessment-linked questions fall within the specialised Supreme Court route. Taxability is connected with rate and assessment because it determines whether the levy applies at all. Saving provisions preserve pending Service Tax proceedings and remedies but do not change the applicable appellate mechanism. Filing before an incorrect forum may cause delay and limitation-related concerns without determination of the merits.
      By: Dr. Sanjiv Agarwal
      Summary: Intelligence-based GST enforcement may be initiated by either the Central or State tax administration irrespective of taxpayer assignment. The authority commencing action may investigate, issue a show cause notice, adjudicate and recover. Parallel adjudicatory proceedings on the same subject matter are barred. Proceedings formally commence through issuance of a show cause notice; summons, searches, seizures and preliminary inquiries do not independently constitute adjudicatory proceedings. Both administrations may investigate until identical liability and contravention are established, but duplicate adjudication after an existing show cause notice is not permitted.
      By: Raj Jaggi
      Summary: Avoidable remand in tax appeals may prolong litigation where the appellate record permits application of settled precedent. Remand may be appropriate for necessary factual verification, unexamined documents, denial of opportunity, or defects requiring fresh adjudication, but should not be a routine disposal method where the appellate forum can decide the merits. A specialised appellate forum should address applicable precedent, relate it to the established facts, and issue a speaking order. Where the law is settled and the record is sufficient, a final reasoned determination promotes finality and reduces repetitive proceedings.
      By: Sadanand Bulbule
      Summary: The article examines a capacity-based cess on pan masala pouch-packing machines that taxes deemed production rather than actual output. It describes the levy as constitutionally defective where machines with materially different capacities receive identical tax treatment and where abatement is limited to prolonged continuous shutdowns, denying relief for genuine shorter disruptions. It argues that administrative convenience and tax-evasion concerns cannot displace Article 14 requirements of rational classification and fairness, and favours verifiable operational metrics, technology-driven supply-chain tracking, field verification, direct public-health safeguards, and transparent tax enforcement.
      By: DEV KUMAR KOTHARI
      Summary: The Income-tax Act, 2025 uses "irrespective of" in place of "notwithstanding" in provisions corresponding to overriding clauses under the Income-tax Act, 1961. "Notwithstanding" is an established device for creating exceptions and giving a provision overriding effect over competing provisions. Although "irrespective of" may communicate a similar sense, its legal operation must be determined from the provision's wording, context, statutory setting, and purpose. The terminology shift may require fresh interpretation of the intended exception or overriding effect.
      By: YAGAY and SUN
      Summary: International trade risk management requires a continuing process of identifying, assessing, prioritising, mitigating and monitoring cross-border financial, commercial, legal, political, logistical, compliance and cybersecurity risks. Businesses should conduct counterparty and country due diligence, use secure payment mechanisms and foreign exchange hedging, document contracts with governing-law and dispute-resolution provisions, diversify suppliers and transport routes, obtain appropriate insurance, and maintain accurate customs documentation. Predictive tools, including data analytics, supply-chain monitoring and scenario planning, support early detection of currency, market, political and operational disruptions.
      By: YAGAY and SUN
      Summary: Pharmaceutical export procedures distinguish manufacturers, merchant exporters, and exporters of unapproved, new, or banned drugs. Manufacturers of approved products upload prescribed documents through e-Sanchit and generally need no separate Assistant Drugs Controller clearance. Merchant exporters require a regulatory No Objection Certificate, on which Customs ordinarily relies without duplicate document verification. Exporters of unapproved, new, and banned drugs must obtain a CDSCO certificate before seeking a Manufacturing Licence, ensure Shipping Bill details match it, and obtain amendments for buyer or purchase-order changes. A limited transitional relaxation applies until 30 September 2026.
      By: YAGAY and SUN
      Summary: Customs administration of temporarily imported duty-free containers is being digitised through electronic monitoring and automated Continuity Bond management. Manual Container Movement Permission is discontinued, while manually executed Continuity Bonds must be registered in the Indian Customs EDI System for automated bond debits and credits through electronic manifests. Pending complete automation, stakeholders must submit electronic quarterly bond and container-status reports. Bond holders remain responsible for timely re-export, accurate records and fulfilment of exemption conditions; non-compliance may lead to bond enforcement, duty recovery with interest and penal proceedings.
      15 News Toggle
      Summary: Draft guidelines for 'on tap' licensing of Urban Co-operative Banks have been issued for public and stakeholder consultation. Comments and feedback may be submitted until September 05, 2026, through the designated online consultation facility or by written or email submission to the specified regulatory department.
      Summary: Import prohibition on goods originating in Pakistan applies to direct and indirect imports under the Foreign Trade Policy, 2023. Pakistan-origin dry dates routed through the UAE were allegedly declared as UAE-origin goods for import, and were intercepted under the Customs Act, 1962. Investigation indicated that the goods were first sent from Pakistan to Dubai, re-containerised, and then exported to India. A separate interception involved Pakistan-origin guggul resin allegedly declared as Somali natural resin and routed through Dubai.
      Summary: Monetary policy maintains the benchmark policy rate unchanged and retains a neutral stance, with future decisions guided by incoming data. The central bank remains committed to aligning headline inflation with its medium-term target while monitoring food, fuel and other input-cost risks. Surplus liquidity will be managed through two-way operations, and the regulatory framework for interest rates on advances is proposed to be harmonised and standardised across regulated entities to improve transparency and consumer protection.
      Summary: The export-only inventory framework permits eligible e-commerce entities to export through a registered Exporter-on-Record, which procures goods from Indian Sellers-on-Record against confirmed overseas orders and assumes export and destination-country compliance responsibilities. Inventory must be segregated, digitally traceable and cannot be diverted to domestic sale. The framework requires timely seller payments, visibility of overseas sales and shipment information, proportional pass-through of export rebates and refunds, annual compliance certification and digital records.
      Summary: Gold smuggling enforcement operations under the Customs Act, 1962 involved alleged concealment and unlawful movement of foreign-origin gold. At an international airport, an alleged syndicate used an airline employee to transfer gold received from arriving passengers outside Customs and immigration controls, with gold disguised as silver-coloured bracelets. A separate railway operation concerned gold concealed in a specially made cloth waist belt and intended for delivery to a jeweller. The actions addressed concealment, evasion of Customs controls, and illicit transport of foreign-origin gold.
      Summary: The Bankers' Books Evidence Bill, 2026, modernises the evidentiary treatment of banking records by extending "bankers' books" to physical, electronic, digital, virtual and cloud-based records. It recognises electronic bank records as admissible evidence, allows production in physical or electronic form, and provides for standardised certificates authenticated by manual, digital or electronic signatures. The Bill also defines "special cause" for compelling bank officers to produce records or testify where the bank is not a party, and permits extension to specified financial-sector entities subject to conditions.
      Summary: The Monetary Policy Committee retained the policy repo rate and neutral policy stance while seeking greater clarity on inflation risks from higher energy costs. Stock exchanges introduced the Closing Auction Session for eligible futures and options shares in the equity cash segment to determine closing prices through a more transparent and robust auction-based price-discovery mechanism. Equity markets showed volatile, limited gains amid geopolitical uncertainty, energy-price concerns, profit booking and the new mechanism's introduction.
      Summary: The prohibition on direct or indirect import or transit of goods originating in or exported from Pakistan extends to goods routed through third countries and falsely declared as having another origin. Misdeclaration of country of origin, false descriptions, forged documentation, and trans-shipment arrangements may contravene that prohibition and invite action under the Customs Act, 1962. Dry dates declared as UAE-origin and Guggul resin declared as Somalia-origin were investigated as goods of Pakistan origin routed through Dubai.
      Summary: Foreign exchange market movement reflected a rupee appreciation against the US dollar following the monetary policy decision to retain the repo rate and neutral stance. Market sentiment was supported by softer crude oil prices, weakness in the US dollar, lower US Treasury yields and foreign equity inflows. The monetary policy framework sought to support capital inflows and maintain an orderly rupee trajectory, with geopolitical developments and US economic data remaining relevant to near-term exchange-rate expectations.
      Summary: A money-laundering investigation concerns alleged proceeds of crime arising from a multi-state chit fund operation associated with Welfare Building and Estates Pvt Ltd. The company is alleged to have collected investor deposits through investment schemes promising high returns before defaulting. Searches at premises linked to its former managing director form part of the inquiry into alleged laundering. The underlying alleged fraud had previously resulted in a CBI case and multiple police FIRs.
      Summary: Political restraint in public communications was urged after a social-media remark directed at Sunetra Pawar was criticised as ideologically irresponsible. It was stated that regret alone was insufficient and that leaders should exercise care in public comments. Press-conference protocol was also emphasised: the principal dignitary should respond to media questions, and those seated alongside should not participate in the interaction. Party colleagues were expected to act more responsibly in future media engagements.
      Summary: Monetary policy maintained the benchmark policy repo rate and a neutral stance pending clearer evidence that energy-cost pressures will generate broad-based inflation. Inflation is expected to rise temporarily due principally to food and fuel prices before moderating, while core inflation remains benign. The approach remains data-dependent, supported by two-way liquidity operations. Proposed measures include resuming urban cooperative bank licensing, revising rural cooperative bank credit-monitoring directions, and harmonising interest-rate regulation on advances across regulated entities to improve transparency and consumer protection.
      Summary: Monetary policy maintained the repo rate at 5.25 per cent following a unanimous policy committee decision. The growth forecast for FY27 was marginally increased, while the inflation projection was lowered. Inflation conditions remain uncertain because of monsoon, El Nino and geopolitical developments. Liquidity remained in surplus, and external-sector indicators reflected a current-account surplus, buoyant foreign direct investment inflows, renewed foreign portfolio investment inflows, and adequate foreign-exchange reserves.
      Summary: Polymer currency notes are targeted for circulation at the beginning of the next financial year, subject to implementation proceeding as planned. They are intended to improve durability, especially for lower-denomination notes with high circulation velocity. Monetary policy decisions will remain data-dependent and focused on aligning headline inflation with its medium-term target. Foreign Currency Non-Resident (Bank) scheme inflows are expected to remain healthy until closure, with no proposal for premature termination. Rupee management aims to maintain an orderly exchange-rate trajectory.
      Summary: Customs officers intercepted two passengers arriving from Istanbul after Advance Passenger Information System profiling and their activation of the Door Frame Metal Detector. A personal search recovered approximately one kilogram of gold, silver-coated and concealed as traditional armlets worn on the upper arms. The gold was seized under the Customs Act, a smuggling case was registered, and investigation was initiated into the source and any wider smuggling network.
      9 Notifications Toggle

      DGFT

      1.
      28/2026-27 - dated - 5-8-2026 - FTP
      Streamlining of Halal Certification Process for Meat and Meat Products
      Summary: Halal certification requirements for exports of specified meat and meat products to Egypt are amended by extending the transition period for mandatory implementation of the India Conformity Assessment Scheme (i-CAS)-Halal to nine months from the earlier notification date. The extension facilitates system readiness and the onboarding and accreditation of Egyptian Halal certification bodies, while all other export requirements remain unchanged.
      2.
      27/2026-27 - dated - 5-8-2026 - FTP
      Introduction of Inventory-based Cross-border E-Commerce Export Framework under FTP
      Summary: Inventory-based cross-border e-commerce exports may be undertaken through a DGFT-registered Exporter-on-Record holding export-only inventory procured from Indian GST-registered Sellers-on-Record against confirmed overseas buyer orders. Export Inventory must be separately identified, segregated and digitally traceable. The Exporter-on-Record must pay sellers within seven days of acceptance, may claim eligible Export Rebates and Refunds, and must distribute seller-attributable benefits proportionately after any administrative charge. It must manage and bear reverse-logistics costs, while returned or rejected consignments cannot enter the domestic market.

      Income Tax

      3.
      110/2026 - dated - 4-8-2026 - Inc.Tax Act 2025
      Notification Granting Tax Exemption to the Odisha Joint Entrance Examination Committee under Section 11 of the Income-tax Act, 2025
      Summary: Tax exemption is notified for the Odisha Joint Entrance Examination Committee in respect of examination fees, counselling and application-processing fees, and interest on bank deposits under Schedule III read with section 11 of the Income-tax Act, 2025. The exemption is conditional on the absence of commercial activity, prescribed income-tax return filing, and continuation of unchanged activities and specified income. Non-compliance results in withdrawal of the exemption and commencement of proceedings under the Act.
      4.
      109/2026 - dated - 4-8-2026 - Inc.Tax Act 2025
      Granting Tax Exemption to Odisha Joint Entrance Examination Committee (PAN: AAAGO0158G) in respect of the specified Income under Section 10(46) of the Income-tax Act, 1961 and section section 536(2)(a) to (c) and (e) of the Income-tax Act, 2025
      Summary: Tax exemption under section 10(46) of the repealed Income-tax Act, 1961 is notified for specified examination, counselling, application-processing and bank-deposit interest income of the Odisha Joint Entrance Examination Committee. The exemption requires absence of commercial activity, unchanged activities and income nature, and prescribed return filing. Non-compliance may lead to penal action and withdrawal of exemption.
      5.
      108/2026 - dated - 4-8-2026 - Inc.Tax Act 2025
      Notification Granting Tax Exemption to the Noida Special Economic Zone Authority under Section 11 of the Income-tax Act, 2025
      Summary: Tax exemption is notified for the Noida Special Economic Zone Authority under Schedule III read with section 11 of the Income-tax Act, 2025, for specified receipts including lease rent, bank interest, fees, allotment and transfer charges, auction receipts, site-usage charges, and scrap-sale proceeds. Applicable for tax years 2026-27 and 2027-28, the exemption requires the Authority to avoid commercial activity, file its return in the prescribed manner, and maintain unchanged activities and specified income. Non-compliance leads to withdrawal of exemption and proceedings under the Act.
      6.
      107/2026 - dated - 4-8-2026 - Inc.Tax Act 2025
      Granting Tax Exemption to Noida Special Economic Zone Authority (PAN: AAALN0639A) in respect of the specified Income under Section 10(46) of the Income-tax Act, 1961 and section section 536(2)(a) to (c) and (e) of the Income-tax Act, 2025.
      Summary: Specified-income exemption is granted to Noida Special Economic Zone Authority under section 10(46) of the Income-tax Act, 1961, as preserved by the Income-tax Act, 2025. Covered income includes lease rent, bank interest on fixed deposits, designated fees and charges, proceeds from vacant-property allotments, and scrap or waste sales. The Authority must not engage in commercial activity, must maintain unchanged activities and income nature, and must file returns under the 1961 Act. Non-compliance may result in penal action and withdrawal of exemption.
      7.
      106/2026 - dated - 4-8-2026 - Inc.Tax Act 2025
      Granting Tax Exemption to Noida Special Economic Zone Authority (PAN: AAALN0639A) in respect of the specified Income under Section 10(46) of the Income-tax Act, 1961 and section 536(2)(a) to (c) and (e) of the Income-tax Act, 2025.
      Summary: Tax exemption under section 10(46) of the Income-tax Act, 1961 is notified for specified income of the Noida Special Economic Zone Authority, including lease rent, bank interest, permit and allotment fees, transfer charges, building-plan fees, site-usage charges, and scrap-sale receipts. The exemption requires that the Authority not engage in commercial activity, that its activities and specified income remain unchanged, and that it file the prescribed income-tax return. Non-compliance may result in penal action and withdrawal of exemption.

      Labour laws

      8.
      G.S.R. 704(E) - dated - 4-8-2026 - Labour laws
      CORRIGENDA - Employees’ Pension Scheme, 2026
      Summary: Corrigenda to the Employees' Pension Scheme, 2026 correct textual, terminological, numerical and cross-reference errors. They replace "security agreement" with "social security agreement", "pay" with "wages", and remove "by way of penalty" from the expression concerning employer damages. The corrections also revise the wage-ceiling terminology, aggregation wording, internal paragraph references, a reference to funds, and specified numerical entries.
      9.
      G.S.R. 703(E) - dated - 4-8-2026 - Labour laws
      CORRIGENDA - Employees’ Provident Funds Scheme, 2026
      Summary: The Employees' Provident Funds Scheme, 2026 is corrected through textual, terminological and cross-reference amendments. The corrigenda standardise references to Employees' Provident Funds, clarify provisions concerning excluded employees, members, international workers, exempted provident funds, nominees and contributions, and correct references to the Provident Fund Act, 1925, the Code on Wages, 2019 and Rule 65. They also revise investment-loss terminology, account nomenclature, numbering, dates, campaign references and security classifications in Form-II.
      3 Circulars Toggle

      FEMA

      1.
      Press Note No. 3 (2026 Series) - dated 23-7-2026
      Review of Foreign Direct Investment (FDI) policy on E-commerce Sector
      Summary: Foreign direct investment policy permits an e-commerce entity to use an inventory-based e-commerce model exclusively to export goods or products manufactured or produced in India. Such exports must comply with the applicable Foreign Trade Policy, Handbook of Procedures, and foreign-exchange regulations governing exports. Existing restrictions on business-to-consumer and inventory-based e-commerce do not apply to this export-only model from the date of the relevant foreign-exchange notification.

      DGFT

      2.
      Trade Notice No. 15/2026-27 - dated 5-8-2026
      Availability of License-wise Voluntary Duty Payment Details for processing of Export Obligation Discharge Certificate (EODC) applications under Advance Authorisation (AA) and Export Promotion Capital Goods (EPCG) Schemes
      Summary: Voluntary duty payment data received from Customs/ICEGATE is integrated into the DGFT portal for digital processing of Export Obligation Discharge Certificate applications under the Advance Authorisation and Export Promotion Capital Goods schemes. Only portal-displayed payment details are recognised for EODC processing and closure. Authorisation holders should provide correct licence and IEC details, verify displayed payments before applying, and report discrepancies through the helpdesk. Regional Authorities must rely on portal-displayed records for payments made on or after August 1, 2026.
      3.
      25/2026-27 - dated 5-8-2026
      Operationalisation of the Inventory-based Cross-border E-Commerce Facilitation Framework under the Handbook of Procedures, 2023
      Summary: The Inventory-based Cross-border E-Commerce Facilitation Framework requires Exporters-on-Record to register through ANF 9A, maintain linked digital inventory records, ensure seller-declared goods match inventory, and secure destination-country compliance before export. Sellers must receive specified inventory visibility and timely seller-attributable export benefits. The framework regulates returned consignments, requires independent compliance certification and five-year record preservation, and provides a DGFT-based dispute-resolution process while preserving micro and small enterprise seller rights. Registration changes must be notified within 30 days, and non-compliance or false information may attract regulatory and legal action.
      56 Case Laws Toggle
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