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    <title>Imported aluminium shelves for mushroom cultivation setup: tariff classification dispute ends with treatment as aluminium structures (CTI 76109010)</title>
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    <description>Aluminium shelves imported for use in a mushroom cultivation set-up were in dispute as to whether they were classifiable as parts of agricultural machinery under CTI 84369900 or as aluminium structures under CTI 76109010. Applying the GRIs sequentially and the &quot;as imported&quot; principle, the Court held that common/trade parlance and &quot;use&quot; are relevant only where the heading text or statutory notes so warrant, and intended use must be inferred from objective characteristics. The shelves satisfied the two-part requirement of CTI 76109010 as aluminium structures/parts of structures. The mushroom growing apparatus was neither a composite machine nor a functional unit, and the shelves were not &quot;parts&quot; since they did not contribute to the operation of independent machines but merely provided a surface. Classification under CTI 76109010 upheld; revenue appeal allowed. - SC</description>
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    <pubDate>Thu, 08 Jan 2026 08:19:12 +0530</pubDate>
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      <title>Imported aluminium shelves for mushroom cultivation setup: tariff classification dispute ends with treatment as aluminium structures (CTI 76109010)</title>
      <link>https://www.taxtmi.com/highlights?id=95840</link>
      <description>Aluminium shelves imported for use in a mushroom cultivation set-up were in dispute as to whether they were classifiable as parts of agricultural machinery under CTI 84369900 or as aluminium structures under CTI 76109010. Applying the GRIs sequentially and the &quot;as imported&quot; principle, the Court held that common/trade parlance and &quot;use&quot; are relevant only where the heading text or statutory notes so warrant, and intended use must be inferred from objective characteristics. The shelves satisfied the two-part requirement of CTI 76109010 as aluminium structures/parts of structures. The mushroom growing apparatus was neither a composite machine nor a functional unit, and the shelves were not &quot;parts&quot; since they did not contribute to the operation of independent machines but merely provided a surface. Classification under CTI 76109010 upheld; revenue appeal allowed. - SC</description>
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      <pubDate>Thu, 08 Jan 2026 08:19:12 +0530</pubDate>
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