<?xml version="1.0" encoding="UTF-8"?>
<?xml-stylesheet type="text/xsl" href="https://www.taxtmi.com/rss_sitemap/rss_feed_blog.xsl?v=1750492856"?>
<rss version="2.0" xmlns:atom="http://www.w3.org/2005/Atom">
  <channel>
    <title>2006 (10) TMI 281 - CESTAT, NEW DELHI</title>
    <link>https://www.taxtmi.com/caselaws?id=120149</link>
    <description>The Tribunal found that the credit note amounts issued by Pepsi Foods Ltd. to the appellant were reimbursements for expenses unrelated to the appellant&#039;s own advertising efforts. As these expenses were not connected to the appellant&#039;s sales promotion, the Tribunal held that the judgment in U.O.I. v. Bombay Tyre International Ltd. was inapplicable. Consequently, the impugned order was set aside, and the appeal was allowed in favor of the appellant, granting consequential relief.</description>
    <language>en-us</language>
    <pubDate>Fri, 06 Oct 2006 00:00:00 +0530</pubDate>
    <lastBuildDate>Tue, 17 Jul 2012 12:25:50 +0530</lastBuildDate>
    <generator>TaxTMI RSS Generator</generator>
    <atom:link href="https://www.taxtmi.com/rss_feed_blog?id=157145" rel="self" type="application/rss+xml"/>
    <item>
      <title>2006 (10) TMI 281 - CESTAT, NEW DELHI</title>
      <link>https://www.taxtmi.com/caselaws?id=120149</link>
      <description>The Tribunal found that the credit note amounts issued by Pepsi Foods Ltd. to the appellant were reimbursements for expenses unrelated to the appellant&#039;s own advertising efforts. As these expenses were not connected to the appellant&#039;s sales promotion, the Tribunal held that the judgment in U.O.I. v. Bombay Tyre International Ltd. was inapplicable. Consequently, the impugned order was set aside, and the appeal was allowed in favor of the appellant, granting consequential relief.</description>
      <category>Case-Laws</category>
      <law>Central Excise</law>
      <pubDate>Fri, 06 Oct 2006 00:00:00 +0530</pubDate>
      <guid isPermaLink="true">https://www.taxtmi.com/caselaws?id=120149</guid>
    </item>
  </channel>
</rss>