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    <title>Input tax credit on cement, steel and works contract for warehouse construction blocked u/s17(5); ITC denied. (5)</title>
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    <description>Input tax credit on cement, steel and other inputs and works contract/construction services used to construct a warehouse was held to be blocked under s.17(5)(c) and s.17(5)(d) where such construction results in an immovable property. While &quot;plant or machinery&quot; in s.17(5)(d) is not governed by the definition of &quot;plant and machinery&quot; in the Explanation to s.17 and requires a functionality test based on the taxpayer&#039;s business and the building&#039;s role, the warehouse in question was not treated as qualifying &quot;plant or machinery&quot;. Consequently, ITC was denied for goods and services used in constructing the warehouse, whether used for providing storage/warehousing services or leased to tenants. - AAR</description>
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    <pubDate>Tue, 30 Dec 2025 13:39:56 +0530</pubDate>
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      <title>Input tax credit on cement, steel and works contract for warehouse construction blocked u/s17(5); ITC denied. (5)</title>
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      <description>Input tax credit on cement, steel and other inputs and works contract/construction services used to construct a warehouse was held to be blocked under s.17(5)(c) and s.17(5)(d) where such construction results in an immovable property. While &quot;plant or machinery&quot; in s.17(5)(d) is not governed by the definition of &quot;plant and machinery&quot; in the Explanation to s.17 and requires a functionality test based on the taxpayer&#039;s business and the building&#039;s role, the warehouse in question was not treated as qualifying &quot;plant or machinery&quot;. Consequently, ITC was denied for goods and services used in constructing the warehouse, whether used for providing storage/warehousing services or leased to tenants. - AAR</description>
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      <pubDate>Tue, 30 Dec 2025 13:39:56 +0530</pubDate>
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