Just a moment...

Top
Help
×

By creating an account you can:

Logo TaxTMI
Call Us / Help / Feedback

Contact Us At :

E-mail: [email protected]

Call / WhatsApp at: +91 99117 96707

For more information, Check Contact Us

FAQs :

To know Frequently Asked Questions, Check FAQs

Most Asked Video Tutorials :

For more tutorials, Check Video Tutorials

Submit Feedback/Suggestion :

Email :
Please provide your email address so we can follow up on your feedback.
Category :
Description :
Min 15 characters0/2000
Make Most of Text Search
  1. Checkout this video tutorial: How to search effectively on TaxTMI.
  2. Put words in double quotes for exact word search, eg: "income tax"
  3. Avoid noise words such as : 'and, of, the, a'
  4. Sort by Relevance to get the most relevant document.
  5. Press Enter to add multiple terms/multiple phrases, and then click on Search to Search.
  6. Text Search
  7. The system will try to fetch results that contains ALL your words.
  8. Once you add keywords, you'll see a new 'Search In' filter that makes your results even more precise.
  9. Text Search
Add to...
You have not created any category. Kindly create one to bookmark this item!
Create New Category
Hide
Title :
Description :
❮❮ Hide
Default View
Expand ❯❯
Close ✕
🔎 TMI Notes - Adv. Search
TEXT SEARCH:

Press 'Enter' to add multiple search terms. Rules for Better Search

Search In:
Main Text + AI Text
  • Main Text
  • Main Text + AI Text
  • AI Text
Law:
---- All Laws----
  • ---- All Laws----
  • Benami Property
  • Bill
  • Central Excise
  • Companies Law
  • Customs
  • DGFT
  • FEMA
  • GST
  • GST - States
  • IBC
  • Income Tax
  • Indian Laws
  • Money Laundering
  • SEBI
  • SEZ
  • Service Tax
  • VAT / Sales Tax
Types:
---- All Types ----
  • ---- All Types ----
  • Act Rules
  • Case Laws
  • Circulars
  • Manuals
  • News
  • Notifications
Sort By: ?
In Sort By 'Default', exact matches for text search are shown at the top, followed by the remaining results in their regular order.
RelevanceDefaultDate
    Case LawsIncome Tax
    Distinction between Capital Gains and Business Income: Comprehensive Analysis of a Income Tax Case
    Case LawsIncome Tax
    A Multifaceted Legal Analysis on Transfer Pricing and Tonnage Tax Scheme, Bareboat Charter, Interest...
    Case LawsIncome Tax
    Assessment of Eligibility for Tax Deductions Under Scrutiny: Tribunal Upholds PCIT's Revisionary Pow...
    Case LawsCustoms
    Insight into Penalties for Procedural Lapses in Customs Documentation
    Legalities of Input Tax Credit Refunds (IGST), period of limitation and COVID-19 pandemic: A Case St...
    Case LawsCentral Excise
    Reversal of CENVAT Credit: A Critical Analysis of a Recent Legal Dispute
    Case LawsIncome Tax
    Taxation of Employee Benefits: TDS on value of accommodation provided to the employees at the rate o...
    Case LawsIncome Tax
    The Intricacies of Unexplained Investment and Legal Recourse: A Comprehensive Analysis of a recent C...
    Navigating Legal Intricacies: Power to arrest under PMLA and compliance with CrPC
    Case LawsIncome Tax
    Intricacies of Taxation on Interconnect Charges in Telecom: Unraveling the Concept of 'Use or Right ...
    Case LawsVAT / Sales Tax
    The Priority of Secured Creditors in Financial Recoveries: A Comprehensive Analysis of Central Bank ...
    Navigating the Intricacies of Seizure and Confiscation under the GST Regime: A Detailed Analysis of ...
    Case LawsIncome Tax
    The Principle of Mutuality in Taxation: A Comprehensive Analysis of a Landmark Supreme Court Decisio...
    Case LawsService Tax
    Legal Nuances in CENVAT Credit Rules and Extended Limitation Periods: A Detailed Analysis
    Case LawsService Tax
    Cenvat Credit - Input Service Distributors and the Extended Period of Limitation in Service Tax Law:...
    Case LawsCustoms
    Complexities of Gold Importation - Prohibited Goods and Redemption: An Analysis of the 2023 (8) TMI...
    Case LawsIndian Laws
    A Case Study on Condonation of Delay in filing the Appeal in Indian Legal System
    Restrictions on availing Input Tax Credit (ITC) - constitutional validity of Section 16(4): A Landma...
    Case LawsIncome Tax
    Landmark Income Tax Reassessment Case
    Case LawsIncome Tax
    A Legal Dissection of Best Judgment Assessments in Tax Law, in the context of Sections 153A/153C in ...
❯❯
MaximizeMaximizeMaximize
0 / 200
Expand Note
Add to Folder

No Folders have been created

    +

    Are you sure you want to delete "My most important" ?

    NOTE:

    Notes
    Showing Results for :
    Reset Filters
    Results Found:
    Show All SummariesHide All Summaries
    Case LawsIncome Tax
    Show AI Summary
    Classification of property income: conversion into business income denies capital-gains relief and alters deduction eligibility.
    Where land initially held as a capital asset is developed and sold through partnership activity with a profit motive, the asset can be characterized as having undergone conversion into stock-in-trade and treated as business income; that characterization determines tax consequences by excluding capital-gains-specific deductions and reinvestment reliefs, and depends on the taxpayer's intention and the transactional pattern.
    Case LawsIncome Tax
    Show AI Summary
    Transfer pricing applicability to tonnage tax scheme narrowed; tonnage-covered operations exempted from transfer pricing obligations.
    Transfer pricing provisions were held inapplicable to operations covered by the Tonnage Tax Scheme, and transfer pricing adjustments based on differential interest for a bareboat charter cum demise lease were rejected in light of prior consistent rulings. The Tribunal treated the relevant interest income and expenditure as business income, examined whether a negative lien equated to a fee-bearing corporate guarantee, and reviewed allocation principles for common interest and hire-charge adjustments between tonnage and non-tonnage activities.
    Case LawsIncome Tax
    Show AI Summary
    Revisionary power under section 263 upholds reassessment where deduction eligibility under section 80IB(11A) is lacking.
    The PCIT found the assessee ineligible for the deduction under section 80IB because operations commenced outside the period in section 80IB(11A); the original assessment accepted the deduction without examining this eligibility. The PCIT issued a show-cause and, treating the original order as erroneous and prejudicial to revenue, exercised revisionary power under section 263 to quash the order and direct reassessment, the Tribunal upholding that revision was appropriate where the error was beyond mere rectification remedies.
    Case LawsCustoms
    Show AI Summary
    Proportionality in customs penalties: enhanced fines require adequate justification and consideration of compliance efforts by authorities.
    The legal issue concerns penalties under the provisional duty assessment regulations for delayed document submission; adjudicators must assess the limited nature of procedural lapses, consider compliance efforts where documents are produced during show cause proceedings, and apply proportionality principles. Enhanced penalties require adequate, reasoned justification, and adjudicators should determine whether a nominal penalty already imposed is commensurate with the lapse and its impact on finalizing provisional assessment and duty realization.
    Case LawsGST
    Show AI Summary
    Limitation exclusion for pandemic renders delayed ITC refund claims timely under CGST limitation provision, court applies notification.
    The court held that the pandemic period exclusion notification applies to computation of the limitation for refunds of unutilised Input Tax Credit arising from exports under a letter of undertaking. After assessing eligibility issues and time barred components of the ITC claim, the court found the appellate conclusion of limitation unsustainable and quashed the impugned order, applying the notification to the refund computation.
    Case LawsCentral Excise
    Show AI Summary
    CENVAT credit reversal: elective accounting options cannot be imposed on a taxpayer, limiting percentage-based recovery.
    Dispute concerns entitlement to reverse CENVAT credit when a manufacturer produces both dutiable and exempt goods without separate records. Rule 6(3) provides elective options for taxpayers not maintaining segregated accounts but authorities cannot impose those options on the assessee. Rule 14 and statutory recovery provisions allow recovery of wrongly availed credit, yet there is no statutory basis to mandate recovery by applying fixed percentages to the value of exempted goods; if the assessee has already reversed credit attributable to exempted production, additional percentage-based demands or penalties lack legal support.
    Case LawsIncome Tax
    Show AI Summary
    Perquisite valuation: absence of employer concession leads to no TDS on rent-free employee accommodation under valuation rules.
    The tribunal concluded that perquisite taxation on rent-free accommodation requires a demonstrable concession by the employer; in the absence of such concession the perquisite value is nil. Although the institution is not a Central Government entity, the Revenue's invocation of Rule 3 and fixed percentage valuation was premature. The appellate deletion of the withholding demand was affirmed on the ground that no concession existed and therefore no taxable perquisite arose.
    Case LawsIncome Tax
    Show AI Summary
    Unexplained investments deemed taxable where cancellation deeds lack civil adjudication and source credibility is unproven.
    The tribunal sustained income tax additions under the unexplained investment provision, holding that the assessee failed to prove the creditworthiness and reality of alleged fund sources for a land purchase revealed in a survey, and that registered cancellation deeds without a civil court decree do not legally negate the original transaction for tax purposes.
    Case LawsPMLA
    Show AI Summary
    Power to arrest under PMLA requires recorded reasons and limits general arrest notice requirements, affecting remand review.
    Power to arrest under the Prevention of Money Laundering Act requires strict recording and communication of reasons for arrest and operates through a specialized, self-contained mechanism limiting the applicability of certain general arrest notices. Judicial remand and CrPC procedures apply only to the extent they do not conflict with the PMLA; habeas corpus is available for illegal detention but is not ordinarily to be used to routinely challenge reasoned, statutorily compliant remand orders.
    Case LawsIncome Tax
    Show AI Summary
    Use or right to use: interconnect charges not treated as royalty under treaty because no transfer of use of IP.
    The core question was whether interconnect usage charges fall within royalty by virtue of conferring the use or right to use a process or equipment. The tribunal held that IUC did not amount to royalty because the telecommunications processes were standard industry practice, not proprietary or secret, and therefore did not grant a transferable right to exploit intellectual property; treaty interpretation under the DTAA controlled characterization.
    Case LawsVAT / Sales Tax
    Show AI Summary
    Priority of secured creditors affirmed over state tax claims under SARFAESI Act, reinforcing security interest protection in recoveries.
    The court's analysis centers on the statutory priority conferred by the SARFAESI framework for enforcement of security interests, treating secured creditors' lien-based rights as superior to government tax claims on the same charged asset and narrowing the traditional Crown Debt preference where the statutory enforcement regime specifies priorities.
    Case LawsGST
    Show AI Summary
    Seizure powers under GST limited to goods and material useful to proceedings, excluding currency and requiring necessity.
    The power to inspect, search and seize under Section 67 is confined to items believed to be liable for confiscation or material useful to proceedings; the statutory definition excludes money from 'goods', seizure must be necessary for GST proceedings, and items not relied upon in subsequent notice are to be returned within a limited period, reflecting a narrower interpretation of 'things' consistent with legislative intent.
    Case LawsIncome Tax
    Show AI Summary
    Principle of mutuality: interest on clubs' bank deposits treated as commercial income and not mutuality-exempt.
    The Court analysed whether investing clubs' surplus funds in bank fixed deposits preserved the identity between contributors and beneficiaries required by the Principle of Mutuality. It found that such investments diverted funds into commercial dealings with third parties and were not applied directly for members' mutual services, thereby breaking mutuality. As a result, interest earned on those investments did not qualify as exempt mutual receipts and was treated as taxable income.
    Case LawsService Tax
    Show AI Summary
    Extended limitation period: requires proof of fraud or wilful suppression; mere self-assessment errors are insufficient.
    The tribunal held that invocation of the extended period of limitation for recovery of irregularly availed CENVAT credit requires affirmative grounds such as fraud, collusion, wilful misstatement, or suppression of facts; mere incorrect self-assessment, audit disagreement, or discovery during audit does not establish the necessary intent to evade, and therefore demands beyond the normal limitation period (except conceded amounts) could not be sustained.
    Case LawsService Tax
    Show AI Summary
    Cenvat credit validity vs procedural lapses: extended limitation requires evidence of fraud or suppression to apply.
    Whether a PSU could claim CENVAT credit through its Head Office functioning as an Input Service Distributor despite documentation lapses, and whether the Department could invoke the extended period of limitation were examined. The focus is on reconciling substantive receipt of services with procedural compliance, and on the requisite showing of fraud, collusion, willful misstatement, or suppression of facts to justify extending limitation beyond the normal period; mere delay without such evidence does not suffice.
    Case LawsCustoms
    Show AI Summary
    Gold importation without declaration: whether undeclared imports amount to smuggling and bar redemption under customs law.
    The petitions question whether undeclared gold imports that bypass the Green Channel constitute prohibited goods or smuggling under the Customs Act, 1962, and whether adjudicating authorities properly exercised discretion under Section 125 in confiscating goods and denying redemption, given alleged arbitrariness and inconsistent treatment.
    Case LawsIndian Laws
    Show AI Summary
    Delay condonation in land acquisition appeals hinges on whether administrative impediments amount to sufficient cause.
    Delay condonation in land acquisition appeals hinges on whether administrative or bureaucratic impediments amount to a sufficient cause rather than an excuse; courts must assess explanations case-by-case, balancing procedural discipline against substantive justice while guarding against routine tolerance of government inefficiency.
    Case LawsGST
    Show AI Summary
    Input Tax Credit time-bar upheld: legislative limits on ITC claims are valid, treating ITC as a conditional concession.
    The time-limit for claiming Input Tax Credit (ITC) was upheld as a permissible legislative condition: ITC is a concession contingent on statutory requirements, temporal restrictions fall within legislative competence, and business forms like proprietorships cannot invoke trade-right protections in the same manner as citizens; judicial interference in fiscal policy is limited where statutory mechanisms govern tax benefits.
    Case LawsIncome Tax
    Show AI Summary
    Reassessment notice limitations restrict tax authorities when issued beyond limitation or without mandated approval or procedural defects.
    A reassessment issued after the three year limitation period and without approval from the specified authority fails statutory prerequisites and cannot sustain reassessment. Reassessment powers are limited to non disclosure or material misstatement of facts in the original assessment and do not extend to changes of opinion. TOLA 2020 does not expand substantive reassessment powers or alter approval requirements, and correct classification of expenses as capital or revenue remains central to tax consequence determinations.
    Case LawsIncome Tax
    Show AI Summary
    Best judgment assessment standards tightened when linked to search-and-seizure reassessments requiring documented satisfaction and DIN compliance.
    Best judgment assessment under Section 144 is examined alongside Sections 153A and 153C, stressing that invocation of Section 144 must be grounded in the legitimate scope opened by search-related reassessments. The court emphasises that the Assessing Officer's satisfaction note must be substantively supported, administrative formalities such as a Document Identification Number must be complied with, and that extensions of assessment periods require concrete evidentiary justification.

    TMI Notes

    Back

    All TMI Notes

    Showing Results for :
    Reset Filters
      No Records Found

      TMI Notes

      Back

      All TMI Notes

      whatsappJoin Channel
      Showing Results for : Reset Filters

      CUSTOMS - OTHER PROPOSALS INVOLVING CHANGES IN BASIC CUSTOMS DUTY RATES IN NOTIFICATIONS

      24 July, 2024

      Contents
      Notifications
      Plus +
      Summary
      Note

      Note

      -

      Bookmark

      Print

      Print

      Union Budget 2024-25 (Full) + FINANCE (No.2) Bill, 2024

      A.

      Changes in Basic Customs Duty (to be effective from 24.07.2024)

      Rates of Duty

      S. No.

      Chapter, Heading, sub- heading, tariff item

      Commodity

      From

      To

      I.

       

      Agricultural Products

       

       

      1.

      1207 99 90

      Shea nuts

      30%

      15%

      II.

       

      Aquafarming & Marine Exports

       

       

      1.

      0306 36

      Live SPF Vannamei shrimp (Litopenaeus vannamei) broodstock

      10%

      5%

      2.

      0306 36

      Live Black tiger shrimp (Penaeus monodon) broodstock

      10%

      5%

      3.

      0306 36 60

      Artemia

      5%

      Nil

      4.

      0511 91 40

      Artemia cysts

      5%

      Nil

      5.

      0308 90 00

      SPF Polychaete worms

      30%

      5%

      6.

      1504 20

       Fish lipid oil for use in manufacture of aquatic feed

      15%

      Nil

      7.

      1504 20

       Crude fish oil for use in manufacture of aquatic feed

      30%

      Nil

      8.

      1518

      Algal Oil for use in manufacture of aquatic feed

      15%

      Nil

      9.

      2102 20 00

      Algal Prime (flour) for use in manufacture of aquatic feed

      15%

      Nil

      10.

      2309 90 90

      Mineral and Vitamin Premixes for use in manufacture of aquatic feed

      5%

      Nil

      11.

      2301 10 90

      Insect meal for use in Research & Development purposes in aquatic feed manufacturing

      15%

      5%

      12.

      2309 90 90

      Single Cell Protein from Natural Gas for use in Research & Development purposes in aquatic feed manufacturing

      15%

      5%

      13.

      2301 20

      Krill Meal for use in manufacture of aquatic feed

      5%

      Nil

      14.

      1901

      Pre-dust breaded powder for use in processing of sea-food

      30%

      Nil

      15.

      2309 90 31

      Prawn and shrimps feed

      15%

      5%

      16.

      2309 90 39

      Fish feed

      15%

      5%

      III.

       

      Critical Minerals

       

       

      1.

      2504

      Natural Graphite

      5%

      2.5%

      2.

      2505

      Natural sands of all kinds, whether or not coloured, other than metal bearing sands of chapter 26 of The Customs tariff Act, 1975

      5%

      Nil

      3.

      2506

      Quartz (other than natural sands); quartzite, whether or not roughly trimmed or merely cut, by sawing or otherwise, into blocks or slabs of a rectangular (including square) shape

      5%

      2.5%

      4.

      2530 90 91

      Strontium sulphate (natural ore)

      5%

      Nil

      5.

      2603 00 00

      Copper ores and concentrates

      2.5%

      Nil

      6.

      2605 00 00

      Cobalt ores and concentrates

      2.5%

      Nil

      7.

      2609 00 00

      Tin ores and Concentrates

      2.5%

      Nil

      8.

      2611 00 00

      Tungsten Ores and Concentrates

      2.5%

      Nil

      9.

      2613

      Molybdenum ores and concentrates

      2.5%

      Nil

      10.

      2615 10 00

      Zirconium ores and concentrates

      2.5%

      Nil

      11.

      2615 90

      Hafnium Ores and concentrates

      2.5%

      Nil

      12.

      2615 90 10

      Vanadium ores and concentrates

      2.5%

      Nil

      13.

      2615 90 20

      Niobium or tantalum ores and concentrates

      2.5%

      Nil

      14.

      2617

      Antimony Ores and Concentrates

      2.5%

      Nil

      15.

      2804 50 20

      Tellurium

      5%

      Nil

      16.

      2804 61 00

      Silicon, containing by weight not less than 99.99% of silicon

      5%

      Nil

      17.

      2804 69 00

      Other silicon

      5%

      Nil

      18.

      2804 90 00

      Selenium

      5%

      Nil

      19.

      2805 30 00

      Alkali or alkaline earth metals, Rare-earth metals, scandium and yttrium, whether or not intermixed or inter alloyed

      5%

      Nil

      20.

      2811 22 00

      Silicon dioxide

      7.5%

      2.5%

      21.

      2815 20 00

      Potassium hydroxide

      7.5%

      Nil

      22.

      2816 40 00

      Oxides, hydroxides and peroxides, of strontium or barium

      7.5%

      Nil

      23.

      2822 00 10

      Cobalt oxides

      7.5%

      Nil

      24.

      2822 00 20

      Cobalt hydroxides

      7.5%

      Nil

      25.

      2822 00 30

      Commercial cobalt oxides

      7.5%

      Nil

      26.

      2825 20 00

      Lithium oxide and hydroxide

      7.5%

      Nil

      27.

      2825 30

      Vanadium oxides and hydroxides

      2.5%/7.5%

      Nil

      28.

      2825 60 10

      Germanium oxides

      7.5%

      Nil

      29.

      2825 70

      Molybdenum oxides and hydroxides

      7.5%

      Nil

      30.

      2825 80 00

      Antimony oxides

      7.5%

      Nil

      31.

      2825 90 20

      Cadmium oxides

      7.5%

      Nil

      32.

      2827 35 00

      Chlorides of Nickel

      7.5%

      Nil

      33.

      2827 39 30

      Strontium chloride

      7.5%

      Nil

      34.

      2833 24 00

      Sulphates of Nickel

      7.5%

      Nil

      35.

      2834 21 00

      Nitrates of potassium

      7.5%

      Nil

      36.

      2836 91 00

      Lithium carbonates

      7.5%

      Nil

      37.

      2836 92 00

      Strontium carbonates

      7.5%

      Nil

      38.

      2841 90 00

      Salts of oxometallic or peroxometallic acids of Beryllium and Rhenium

      7.5%

      Nil

      39.

      2846

      Compounds, inorganic or organic of rare earth metals

      7.5%

      Nil

      40.

      2918 15 30

      Bismuth citrate

      7.5%

      Nil

      41.

      3801

      Artificial Graphite, colloidal or semi-colloidal graphite, preparations based on graphite or other carbon in form of pastes, blocks, plates or other semimanufactures

      7.5%

      2.5%

      42.

      8001

      Unwrought Tin

      5%

      Nil

      43.

      8101 94 00

      Unwrought tungsten, including bars and rods obtained simply by sintering

      5%

      Nil

      44.

      8102 94 00

      Unwrought molybdenum, including bars and rods obtained simply by sintering

      5%

      Nil

      45.

      8103 20

      Unwrought tantalum, including bars and rods obtained simply by sintering, powders

      5%

      Nil

      46.

      8105 20 20

      Cobalt, unwrought

      5%

      Nil

      47.

      8106 10 10

      Bismuth, unwrought

      2.5%

      Nil

      48.

      8109 21 00

      Unwrought zirconium, powders, Containing less than 1 part hafnium to 500 parts zirconium by weight

      10%

      Nil

      49.

      8110 10 00

      Unwrought antimony, powders

      2.5%

      Nil

      50.

      8112 12 00

      Beryllium unwrought, powders

      5%

      Nil

      51.

      8112 31

      Hafnium unwrought, waste and scrap, powders

      10%

      Nil

      52.

      8112 41 10

      Rhenium unwrought

      10%

      Nil

      53.

      8112 69 10

      Cadmium unwrought, powders

      5%

      Nil

      54.

      8112 69 20

      Cadmium, wrought

      5%

      Nil

      55.

      8112 92 00

      (ii) Unwrought; waste and scrap; powder of, -

      (i) Gallium

      (ii) Germanium

      (iii) Indium

      (iv) Niobium

      (v) Vanadium

      5%

      Nil

      IV.

       

      Steel Sector

       

       

      1.

      7202 60 00

      Ferro Nickel

      2.5%

      Nil

      2.

      7204

      Ferrous Scrap

      Nil (till 30.09.2024)

      Nil (till 31.03.2 026)

      3.

      7225

      Certain specified raw materials for manufacture of CRGO steel

      Nil (till 30.09.2024)

      Nil (till 31.03.2 026)

      V.

       

      Copper

       

       

      1.

      7402 00 10

      Blister Copper

      5%

      Nil

      VI.

       

      Chemicals and Plastics

       

       

      1.

      3102 30 00

      Ammonium Nitrate, whether or not in aqueous solution

      7.5%

      10%

      2.

      3920 (other than 3920 99 99) or 3921

      All goods other than Poly vinyl chloride (PVC) flex films/flex banner

      25% (with effect from 24.07.2024)

      10%

      3.

      3920 99 99

      All goods other than Poly vinyl chloride (PVC) flex films/flex banner

      25% (with effect from 24.07.2024)

      15%

      VII.

       

      Textile and Leather Sector

       

       

      1.

      2929 10 90

      Methylene Diphenyl Di-isocyanate (MDI) for use in the manufacture of Spandex Yarn

      7.5%

      5% Subject to IGCR conditions

      2.

      41

      Wet white, Crust and finished leather for manufacture of textile or leather garments, leather /synthetic footwear or other leather products, for export

      10%

      Nil Items under Sl. No. 257B and 257C of Notification 50/2017 - Customs, dated 30.06.2017

      3.

      38,48 or any other Chapter

      Certain additional accessories and embellishments for manufacture of textile or leather garments, leather/synthetic footwear or other leather products, for export

      As applicable

      Nil Items under Sl. No. 257B and 257C of Notification 50/2017 - Customs, dated 30.06.2017

      4.

      0505 10

      Real Down Filling Material from Duck or Goose for use in the manufacture of textile or leather garments for export

      30%

      10%

      VIII.

       

      Cancer Drugs

       

       

      1.

      30

      (i) Trastuzumab Deruxtecan,

      (ii) Osimertinib,

      (iii) Durvalumab

      10%

      Nil

      IX.

       

      Precious Metals

       

       

      1.

      7108

      Gold bar

      15%

      6%

      2.

      7108

      Gold dore

      14.35%

      5.35%

      3.

      7106

      Silver bar

      15%

      6%

      4.

      7106

      Silver dore

      14.35%

      5.35%

      5.

      7110

      Platinum, Palladium, Osmium, Ruthenium, Iridium

      15.4%

      6.4%

      6.

      7118

      Coins of precious metals

      15%

      6%

      7.

      7113

      Gold/Silver findings

      15%

      6%

      8.

      71

      Platinum and Palladium used in the manufacture of noble metal solutions, noble metal compounds and catalytic convertors

      7.5%

      5%

      9.

      84

      Bushings made of platinum and rhodium alloy when imported in exchange of worn out or damaged bushings exported out of India

      7.5%

      5%

      X.

       

      Medical Equipment

       

       

      1.

      39

      All types of polyethylene for use in manufacture of orthopaedic implants falling under sub-heading 9021 10

      As applicable

      Nil

      2.

      39, 72, 81

      Special grade stainless steel, Titanium alloys, Cobalt-chrome alloys, and All types of polyethylene for use in manufacture of other artificial parts of the body falling under sub-heading 9021 31 or 9021 39

      As applicable

      Nil

      3.

      9022 30 00

      X-ray tubes for use in manufacture of X-ray machines for medical, surgical, dental or veterinary use

      15%

      5% (till 31st March 2025)

      7.5% (w.e.f 1st April, 2025 to 31st March, 2026)

      10% (w.e.f 1st April, 2026)

      4.

      9022 90 90

      Flat panel detectors (including scintillators) for use in manufacture of X-ray machines for medical, surgical, dental or veterinary use

      15%

      5% (till 31st March 2025)

      7.5% (w.e.f 1st April, 2025 to 31st March, 2026)

      10% (w.e.f 1st April, 2026)

      XI.

       

      IT and Electronics Sector

       

       

      1.

      8517 13 00, 8517 14 00

      Cellular mobile phone

      20%

      15%

      2.

      8504 40

      Charger/Adapter of cellular mobile phone

      20%

      15%

      3.

      8517 79 10

      Printed Circuit Board Assembly (PCBA) of cellular mobile phone

      20%

      15%

      4.

      28, 29, 38

      Specified parts for use in manufacture of connectors

      5%/7.5%

      Nil

      5.

      74

      Oxygen Free Copper for use in manufacture of Resistors

      5%

      Nil

      6.

      40

      Specified die-cut parts for use in manufacture of cellular mobile phones

      As applicable

      Nil

      7.

      40, 70, 76

      Specified mechanics for use in manufacture of cellular mobile phones

      As applicable

      Nil

      8.

      8517 79 10

      Printed Circuit Board Assembly (PCBA) of specified telecom equipment

      10%

      15%

      XII.

       

      Renewable Energy Sector

       

       

      1.

      84, 85, or any other chapter

      Specified capital goods for use in manufacture of solar cells or solar modules, and parts for manufacture of such capital goods

      7.5%

      Nil

      2.

      7007

      Solar glass for manufacture of solar cells or solar modules

      Nil

      10% (w.e.f. 1.10.20 24)

      3.

      74

      Tinned copper interconnect for manufacture of solar cells or solar modules

      Nil

      5%(w.e.f 1.10.20 24)

      XIII.

       

      Shipping

       

       

      1.

      Any Chapter

      Components and consumables for use in manufacture of specified vessels

      As applicable

      Nil

      2.

      Any Chapter

      Technical documentation and spare parts for construction of warships

      As applicable

      Nil

      XIV.

       

      Capital goods

       

       

      1.

      Any Chapter

      Goods under S. No. 404 of Notification No. 50/2017 Customs, used for petroleum exploration operations

      As applicable

      Nil

      B.

      Changes in Export Duty (To be effective from 24.7.2024)

      Effective export duty on raw skins, hides & leather is being simplified and rationalized. The changes are as follows -

      Rate of Duty

      S. No.

      Chapter or Heading

      Commodity

      From

      To

      1.

      4101 to 4103

      Raw Hides & skins, all sorts (other than buffalo)

      40%

      40%

      2.

      4101

      Raw Hides & skins of buffalo

      30%

      30%

      3.

      4104 to 4106

      Tanned or crust hides of skins, whether or not split, but not further prepared

      40

      20%

      4.

      4104 to 4106

      E.I. tanned leather

      Nil

      Nil

      5.

      41

      Finished leather as defined by DGFT finished leather norms

      Nil

      Nil

      6.

      4301

      Raw fur skins

      60%/10%

      40%

      7.

      4302

      Tanned or dressed furskin

      60%

      20%


      Full Text:

      Union Budget 2024-25 (Full) + FINANCE (No.2) Bill, 2024

      Topics

      ActsIncome Tax