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AI Drafter

Generate professional replies to Show Cause Notices, assessment orders, audit objections, and other legal communications using TaxTMI's AI Drafter.

Step 1 – Issue Identification & Review

The AI analyses your query, notice, order, or uploaded documents and identifies the key issues involved.

• Review the issues identified by the AI
• Add, edit, remove, or refine issues as required


Step 2 – Draft Generation

Once you approve the issues, the AI performs issue-wise legal research and prepares a structured draft response.

• Relevant statutory provisions
• Judicial precedents and Supreme Court, High Court and other citations
• Issue-wise legal analysis
• Practical arguments and supporting content
• Professionally structured draft ready for further review.

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2016 (6) TMI 1064

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....td., (for short, 'IOCL'), seeking for issuance of a writ of certiorari to quash the orders passed by the second respondent/Joint Commissioner (CT) (Appeals) in Applications praying for stay of collection of the balance amount of tax, demanded from them, and consequently, to direct the second respondent to dispose of the Appeals filed by the petitioner. 2. Writ Petition No.8015 of 2016 has been filed by Chennai Petroleum Corporation Limited (in short, 'CPCL'), seeking for the same prayer, as sought for by the petitioner/IOCL.  3. Since the issue involved in all the Writ Petitions are one and the same, these Writ Petitions are taken up together, and with consent on either side, disposed of by this common order. 4....

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....re is no reason as to why such indulgence should not be shown to the petitioners, moreso when the petitioners are State owned Corporations.  Now, coming to the first condition, directing the petitioner to pay 25% of the disputed tax, i.e. over and above the pre-deposit amount already effected, it would be beneficial to take into consideration, the decision of the Hon'ble Supreme Court, in the case of (Bharat Petroleum Corporation Ltd., Vs. Commissioner of Sales Tax and others) reported in (2008) 17 VST 162 SC.  In the said case, the issue was as to whether the sale of superior kerosene oil by Bharat Petroleum Corporation Limited (BPCL) to another Oil Company, via PDS route, was exempted from sale tax, in terms of the notificat....

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....pending before the Assistant Commissioner of Sales Tax, the appellant will pay the tax due with interest in accordance with Orissa Sales Tax Act. 8. The decision rendered in the above referred BPCL case, could be squarely made applicable to the instance cases as well. The only difference, which could be pointed out at this stage, is the nature of transaction, which is the subject matter of dispute. However, this will not, in any manner, alter the decision, since the petitioners herein are also a public sector Company/ Corporation.   9. The details as to what is the amount of tax and penalty demanded from the petitioner; 25 % of the disputed tax paid by the petitioner as pre deposit; now, the amount sought to be demanded from the ....

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....0.00   'C' Sl.Nos W.P.Nos Assessment years 25% Demanded Tax 1 3141/2016 2006-2007 Rs.1,41,81,122/- 2 3142/2016 2007-2008 Rs.9,40,79,858/- 3 3143/2016 2008-2009 Rs.4,76,91,000/- 4 6294/2016 2009-2010 Rs.4,49,21,944/- 5 6295/2016 2010-2011 Rs.14,40,85,817/- 6 6296/2016 2011-2012 Rs.7,12,50,888/-   CHENNAI PETROLEUM CORPORATION Sl.No. W.P.No. Assessment Year 25% Demanded Tax 1 8015/2016 2010-2011 Rs.26,23,14,606/-   10. As pointed out by the Hon'ble Supreme Court, it would be inequitable to call upon the public sector company to pre deposit this amount, as it may have other repercussion on the....