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    Case LawsIncome Tax
    Reassessing Accommodation Entries: Insights from a High Court Judgment
    Case LawsIncome Tax
    A Judicial Perspective on Section 148A of the Income Tax Act: Amended Reassessment Provisions
    Case LawsCustoms
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    Assessing Penalties for non-filing of ITR: A Deep Dive into Section 271F of the Income Tax Act
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    Addition after survey option as Unaccounted income: Burden to prove and evidence.
    Case LawsIncome Tax
    Decision on Depreciation and Expenditure
    Case LawsIncome Tax
    Navigating Through Reimbursement Expenses, DDT Refunds, and Transfer Pricing Adjustments
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    Case LawsIncome Tax
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    Reassessment under Section 148A: disputed factual issues on accommodation entries directed to the assessing officer for factual determination.
    The High Court required detailed scrutiny of alleged accommodation entries and the genuineness of share transactions under the reassessment procedure, noting taxpayers' disclosure of income as Short Term Capital Gains. Applying precedents on judicial review, the court held that disputed factual questions and the procedural validity of reassessment are to be determined by the Assessing Officer rather than in writ proceedings, absent evidence of arbitrariness or limitation breach.
    Case LawsIncome Tax
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    Section 148A preliminary enquiry limits inquiry to existence of information before reassessment and preserves assessee procedural rights.
    Preliminary enquiries under the post amendment reassessment procedure require the assessing officer to possess tangible information suggesting escaped income and to afford the assessee an opportunity to respond before issuing a reassessment notice; the officer's inquiry at this stage is limited to ascertaining existence of such information and does not adjudicate the merits, while procedural protections-objection, access to information, and appellate remedies-remain available.
    Case LawsCustoms
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    Co accused statements: cannot alone ground smuggling conviction; requires corroboration and procedural compliance to protect presumption of innocence.
    A solitary declaration by a co accused is insufficient to establish participation in a smuggling offence without independent corroborative evidence linking the accused to the seized goods or operation; reliance on such statements without examination and opportunity for cross examination undermines their evidentiary value and contravenes fair trial protections and the presumption of innocence.
    Case LawsIncome Tax
    Show AI Summary
    Monetary limits for appeals reshape Revenue litigation strategy, reducing low stake appeals and encouraging selective prosecution.
    The court treated CBDT instructions on monetary limits as possessing binding effect within the statutory appeals framework, harmonising the right to appeal with monetary limit provisions and applying policy considerations from the National Litigation Policy to limit low stake Revenue appeals; this approach affects Revenue litigation strategy, judicial resource allocation, taxpayer relief, and invites possible legislative clarification regarding retrospective or prospective application.
    Case LawsCustoms
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    Misdeclaration of goods: deliberate misstatements attract differential duty, redemption fines and potential confiscation under customs law.
    Misdeclaration of goods in declared quantity and weight violates the statutory declaration regime; an accurate declaration is essential to duty assessment, and material, deliberate discrepancies justify imposition of differential duty, redemption fines and potential confiscation to protect revenue and deter evasion.
    Case LawsGST
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    Procedural fairness in GST notices: ensure intimation precedes show cause notice and allow reasonable opportunity to reply.
    The case addresses non-compliance with GST notice procedures where intimation in Form GST DRC-01A and a show cause notice under Section 74(1) were issued simultaneously, depriving the taxpayer of a statutory opportunity to reply. Emphasising procedural fairness and the right to a fair hearing, the court required that the taxpayer be allowed to file a response within a specified timeframe and that further proceedings, including any fresh notice, follow after consideration of that reply.
    Case LawsIncome Tax
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    Penalty notice specificity: lack of clarity requires proof of actual prejudice before challenging tax penalties.
    Penalty notices under Section 271(1)(c) read with Section 274 must clearly communicate the specific charge to secure a fair hearing; failure to object during proceedings may constitute acquiescence. Procedural defects do not invalidate penalty proceedings unless the affected party proves actual prejudice, and the burden of demonstrating such prejudice lies with the party alleging breach of natural justice.
    Case LawsIncome Tax
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    Furnishing inaccurate particulars cannot be presumed from mere disallowance; defective notices and bona fide claims constrain penalties.
    Penalty for furnishing inaccurate particulars of income requires proof of knowingly misstated or concealed particulars; mere disallowance of a claim does not suffice. A bona fide, arguable claim should not automatically attract penalty, and a defective or unadapted notice that fails to demonstrate application of mind can vitiate penalty proceedings.
    Case LawsIncome Tax
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    Furnishing inaccurate particulars: claiming non existent depreciation can attract penalty even without willful concealment; notice must be specific.
    Claiming depreciation on non existent assets constitutes furnishing inaccurate particulars of income under the penalty provision; proof of willful concealment is not a necessary ingredient for civil penalty liability. Notices initiating penalty proceedings must be specific and clear to meet natural justice requirements, and factual admissions and reversal of disputed claims are operative in determining whether inaccurate particulars were furnished.
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    Natural justice in tender cancellations: ensure opportunity to be heard; flexibility applies where no actual prejudice arises.
    Natural justice in tender cancellation requires affected parties be given an opportunity to meet allegations; the case highlights an e tender interrupted by an ex parte inquiry, cancellation without prior notice, and allegations of bias. These procedural deficiencies implicate the audi alteram partem principle and render such cancellations arbitrary where parties are not afforded a fair chance to respond. The analysis notes natural justice is flexible and, in absence of actual prejudice, its breach may not invalidate administrative action, while stressing transparency and balanced procedural fairness by public bodies.
    Case LawsIndian Laws
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    Natural justice requires municipal demolition actions to provide adequate notice and a fair hearing before affecting property rights.
    The judgment requires municipal enforcement actions affecting immovable property to rest on clear statutory authority and to respect constitutional property rights, insisting that dispossession or demolition follow lawful procedure. It mandates observance of natural justice, specifically adequate notice and an opportunity to be heard, and embeds these procedural safeguards within principles of transparency, proportionality, and reasoned municipal decision making.
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    Disclosure obligations ensure accused access to relevant evidence, preserving fair trial rights in FEMA proceedings.
    Disclosure obligations under the Foreign Exchange Management Act require enforcement authorities to furnish accused persons with all relevant documents and evidence to enable preparation of defence, reflecting the right to a fair hearing and natural justice. Investigative confidentiality may justify limited nondisclosure only when authorities demonstrate specific harm, and any withholding must be narrowly tailored, with reasoned determinations that preserve core procedural fairness in FEMA adjudications.
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    Customs Penalty Jurisdiction affirmed where under invoicing and dual invoicing indicate participation in duty evasion scheme.
    Imposition of penalties under Section 112(a) for alleged under invoicing and dual invoicing was sustained on the basis that receipt of part consideration and issuance of false invoices constituted participation in a scheme to evade customs duty; the offences were treated as occurring within India so the Customs Act applied, co noticee settlements did not extend immunity to others, and a jurisdictional challenge to DRI authority was found inapplicable to the notice issued.
    Case LawsIncome Tax
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    Failure to file return on time triggers penalty under Section 271F even if return is later filed after reassessment notice.
    The summary addresses penalty liability for failing to file the original income tax return by the statutory due date, noting that later filing in response to a reassessment notice does not excuse the late original filing. It emphasizes that initiation of penalty proceedings after completion of reassessment does not automatically vitiate the penalty, and that absence of a valid reason for delay sustains penal consequences under the provision for non-filing.
    Case LawsIncome Tax
    Show AI Summary
    Burden to prove unaccounted income: additions require admissible evidence, not assumptions from survey reports.
    Burden to prove alleged unaccounted income lies with the revenue; additions based on survey findings and an Inspector's report to re fix sale prices must be supported by admissible evidence. The taxpayer used the percentage of completion method for construction income, and impounded documents from a statutory survey were central to the dispute. Additions founded mainly on assumptions or inspector notes, without corroborative proof linking seized material to unexplained receipts, are susceptible to appellate review.
    Case LawsIncome Tax
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    Depreciation on aircraft recognized when operational preparations precede airworthiness certificate, affecting tax depreciation timing.
    The tribunal treated preparatory expenditures to make a newly acquired aircraft operational as integral to business activity for determining the timing of depreciation, remitted the classification and amortisation of engine improvement and overhaul costs to the assessing officer, allowed component replacement and repair costs as revenue deductions because they did not extend useful life, and confirmed that interest on TDS is not an allowable deduction.
    Case LawsIncome Tax
    Show AI Summary
    Transfer pricing adjustments shape ALP analysis and documentation requirements for royalties and management fees.
    Dispute involves deductibility of cross border reimbursement payments under Section 37 and whether assessing authorities recorded specific factual findings and afforded fair opportunity before disallowance. Related issues include entitlement to refund of excess Dividend Distribution Tax under the DTAA and the correct application of the Arm's Length Principle-notably choice between TNMM and CUP-for benchmarking royalty and management fees, with emphasis on documentation and comparability analysis.
    Case LawsIBC
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    Locus standi in insolvency proceedings: standing requires a direct, legitimate interest to initiate or challenge IBC processes.
    The commentary examines locus standi under the Insolvency and Bankruptcy Code, focusing on entitlement to initiate, challenge and participate in the Corporate Insolvency Resolution Process. It highlights procedural interactions among the financial creditor, resolution professional and Committee of Creditors, and discusses contested applications for extension of plan implementation, protection of bank guarantees and permission for fresh bids where a bidder failed to perform. The piece stresses that standing depends on a direct, legitimate interest and that courts apply a stringent interest based test when admitting challenges or procedural relief in IBC proceedings.
    Case LawsIBC
    Show AI Summary
    Shareholder locus standi constrained in insolvency; CoC commercial wisdom insulated from judicial interference absent material illegality.
    Shareholder rights are substantially curtailed after commencement of CIRP: shareholders may file claims in liquidation but lack standing to overturn CoC commercial decisions. The commercial wisdom of the Committee of Creditors is entitled to deference and is reviewable by courts only for material irregularity or legal violation; procedural objections and requests for forensic audit must demonstrate such material illegality to unsettle an approved resolution plan under the IBC.
    Case LawsIncome Tax
    Show AI Summary
    Instalment payments: courts permit flexible tax instalment schedules for financially distressed corporates while respecting lower court discretion.
    The courts endorsed a flexible instalment framework permitting extension and adjustment of tax payment schedules when a corporate taxpayer demonstrates reduced capacity to pay, including temporary reduction of individual instalments with deficits spread over remaining payments. The appellate decision upheld the lower court's discretion, emphasising deference absent clear error and supporting reasonableness and proportionality in accommodating financial distress while preserving eventual recovery of assessed liabilities.

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      AMENDMENTS TO DUTY RATES IN FIRST SCHEDULE TO THE CUSTOMS TARIFF ACT, 1975

      1 February, 2025

      Contents
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      Union Budget 2025-26 (Full) + Finance Bill, 2025

      III. AMENDMENTS TO DUTY RATES IN FIRST SCHEDULE TO THE CUSTOMS TARIFF ACT, 1975

      A.

      Increase in Tariff rate (to be effective from 02.02.2025) * [Clause 98 (a) of the Finance Bill, 2025] *Will come into effect immediately through a declaration under the Provisional Collection of Taxes Act, 2023

      Rate of Duty

      S. No.

      Tariff item

      Commodity

      From

      To

       

       

      Textile

       

       

      1.

      6004 10 00

      6004 90 00

      6006 22 00

      6006 31 00

      6006 32 00

      6006 33 00

      6006 34 00

      6006 42 00

      6006 90 00

      Knitted Fabrics

      20%/10%

      20% or Rs115/kg,

      whichever is

      higher

       

       

      IT & Electronics sector

       

       

      2.

      8528 59 00

      Interactive Flat Panel Displays (Completely Built Units)

      10%

      20%

      B.

      Decrease in Tariff rate (to be effective from 01.05.2025 unless otherwise specified) * [Clause 98 (b) of the Finance Bill, 2025] Note: These changes will be effective from 2nd

      February, 2025 by issuance of notification.

      Rate of Duty

      S. No.

      Heading, subheading,

      tariff

      item

      Commodity

      From

      To

      1.

      25151100

      2515 12

      Marble and travertine, crude or roughly trimmed, merely cut into blocks, slabs and other

      40%

      20%

      2

      2516 11 00

      2516 12 00

      Granite, crude or roughly trimmed,

      merely cut into blocks, slabs and

      other

      40%

      20%

      3.

      2933 59

      Other compounds containing a pyrimidine ring (whether or not hydrogenated) or piperazine ring in the structure

      10%

      7.5%

      4.

      3302 10

      Synthetic flavouring essences and

      mixtures of odoriferous substances

      of a kind used in food and drink

      industries

      100%

      20%

      5.

      3406

      Candles, tapers and the like

      25%

      20%

      6

      3822 90

      Reference Materials

      30%

      10%

      7

      3824 60

      Sorbitol other than that of subheading

      2905 44

      30%

      20%

      8

      3920

      Other, plates, sheets, films, foil and

      strip, of plastics, non-cellular and

      not reinforced, laminated,

      supported or similarly combined

      with other materials

      25%

      20%

      9.

      3921

      Other plates, sheet, film, foil and strip of plastics

      25%

      20%

      10.

      6401

      Waterproof Footwear with outer soles and Uppers of Rubber or of plastics, the uppers of which are neither fixed to the sole nor assembled by stitching, riveting, nailing, screwing, plugging or similar processes

      35%

      20%

      11.

      6402

      Other footwear with outer soles and uppers of rubber or plastics

      35%

      20%

      12.

      6403

      Footwear with outer soles of rubber, plastics, leather or composition leather and uppers of leather

      35%

      20%

      13.

      6404

      Footwear with outer soles of rubber, plastics, leather or composition leather and uppers of textile materials

      35%

      20%

      14.

      6405

      Other Footwear

      35%

      20%

      15.

      6802 10 00

      6802 21 10

      6802 21 20

      6802 21 90

      6802 23 10

      6802 23 90

      6802 29 00

      6802 91 00

      6802 92 00

      6802 93 00

      Worked monumental or building stone

      40%

      20%

      16.

      7113

      Articles of Jewellery and parts thereof

      25%

      20%

      17.

      7114

      Articles of goldsmiths’ and silversmiths’ ware’s and parts thereof

      25%

      20%

      18.

      7404 00 12 7404 00 19

      7404 00 22

      Copper Waste and Scrap

      2.5%

      Nil

      19.

      8002

      Tin Waste and Scrap

      5%

      Nil

      20.

      8101 97 00

      Tungsten Waste and Scrap

      5%

      Nil

      21.

      8102 97 00

      Molybdenum Waste and Scrap

      5%

      Nil

      22.

      8103 30 00

      Tantalum Waste and Scrap

      5%

      Nil

      23.

      8105 30 00

      Cobalt Waste and Scrap

      5%

      Nil

      24.

      8106 90 10

      Waste and Scrap of Bismuth and Bismuth alloys

      5%

      Nil

      25.

      8109 31 00, 8109 39 00

      Zirconium Waste and Scrap

      10%

      Nil

      26.

      8110 20 00

      Antimony Waste and Scrap

      2.5%

      Nil

      27.

      8112 13 00

      Beryllium Waste and Scrap

      5%

      Nil

      28.

      8112 41 20

      Rhenium Waste and Scrap

      10%

      Nil

      29.

      8112 61 00

      Cadmium Waste and Scrap

      5%

      Nil

      30.

      8541 42 00

      Solar Cells

      25%

      20%

      31.

      8541 43 00  8541 49 00

      Solar Module and Other semiconductor devices and photovoltaic cells

      40%

      20%

      32.

      8702

      Motor vehicles for transport of 10 or more persons

      40%

      20%

      33.

      8703

      Motor cars and other motor vehicles principally designed for the transport of persons (other than those of heading 8702)

      125%

      70%

      34.

      8704

      Motor vehicles for transport of goods

      40%

      20%

      35.

      8711

      Motorcycles and cycles fitted with an auxiliary motor with or without side-car

      100%

      70%

      36.

      8712 00 10

      Bicycles

      35%

      20%

      37.

      8903

      Yachts and other vessels for pleasure or sports; rowing boats and canoes

      25%

      20%

      38.

      9028 30 10

      Electricity meters for alternating current (Smart meter)

      25%

      20%

      39.

      9401

      Seats (other than those of headings 9402), whether or not convertible into beds, and parts thereof

      25%

      20%

      40.

      9403

      Other furniture and parts thereof

      25%

      20%

      41.

      9404

      Mattress supports, articles of bedding and similar furnishing etc.

      25%

      20%

      42.

      9405

      Luminaries and lighting fittings including searchlights and spotlights and parts thereof etc.

      25%

      20%

      43.

      9503 00 91

      Parts of electronic toys

      70%

      20%

      44.

      9802 00 00

      Laboratory Chemicals

      150%

      70%

      45.

      9803 00 00

      All dutiable articles, imported by a passenger or a member of a crew in his baggage

      100%

      70%

      46.

      9804 00 00

      All dutiable goods imported for personal use.

      35%

      20%

      C.

      Tariff rate changes (without change in existing effective rate of duty) to be effective from 01.05.2025 unless otherwise specified [Clause 98 (b) of the Finance Bill, 2025]

      Rate of Duty

      S. No.

      Heading, sub- heading tariff item

      Commodity

      From

      To

      1.

      1520 00 00

      Glycerol Crude, glycerol waters, glycerol lye

      30%

      20%

      2.

      2603 00 00

      Copper Ores and concentrates

      2.5%

      Nil

      3.

      2605 00 00

      Cobalt Ores and concentrates

      2.5%

      Nil

      4.

      2609 00 00

      Tin Ores and concentrates

      2.5%

      Nil

      5.

      2611 00 00

      Tungsten Ores and concentrates

      2.5%

      Nil

      6.

      2613 00 00

      Molybdenum Ores and concentrates

      2.5%

      Nil

      7.

      2615 10 00

      Zirconium Ores and concentrates

      2.5%

      Nil

      8.

      2615 90 10

      Vanadium Ores and concentrates

      2.5%

      Nil

      9.

      2615 90 20

      Niobium or Tantalum Ores and concentrates

      2.5%

      Nil

      10.

      2617 10 00

      Antimony Ores and Concentrates

      2.5%

      Nil

      11.

      2711 12 00

      Liquefied Propane

      15%

      2.5%

      12.

      2711 13 00

      Liquefied Butane

      15%

      2.5%

      13.

      27 11 19 10

      LPG (for non-automotive purpose)

      15%

      5%

      14.

      2711 19 20

      LPG (for automotive purpose)

      15%

      5%

      15.

      2711 19 90

      Other liquified petroleum gas

      15%

      5%

      16.

      2809 20 10

      Phosphoric Acid

      20%

      7.5%

      17.

      2810 00 20

      Boric Acid

      27.5%

      7.5%

      18.

      3824 99 00

      Other – Prepared Binders, chemical products and preparations of chemical or allied industries

      17.5%

      7.5%

      19.

      7210 12 10

      OTS/MR type-flat rolled products of thickness less than 0.5 mm

      27.5%

      15%

      20.

      7210 12 90

      Other flat rolled products of thickness less than 0.5 mm

      27.5%

      15%

      21.

      7219 12 00

      Hot-rolled products in coils of thickness greater than or equal to 4.75 mm, but not exceeding 10 mm

      22.5%

      15%

      22.

      7219 13 00

      Hot-rolled products in coils of thickness greater than or equal to 3 mm but less than 4.75 mm

      22.5%

      15%

      23.

      7219 21 90

      Flat rolled products of stainless steel of width 600 mm or more - Other nickel chromium austenitic type

      22.5%

      15%

      24.

      7219 90 90

      Flat rolled products of stainless steel of width 600 mm or more - Other sheets and plates

      22.5%

      15%

      25.

      7225 11 00

      Flat-rolled products of other alloy steel - grain oriented, silicon electrical steel

      20%

      15%

      26.

      7307 29 00

      Other tube or pipe fittings of stainless steel

      25%

      15%

      27.

      7307 99 90

      Other fittings of iron or steel, non- galvanised

      25%

      15%

      28.

      7308 90 90

      Other structure and parts of structures of iron and steel

      25%

      15%

      29.

      7310 29 90

      Others-tanks and drums etc.

      25%

      15%

      30.

      7318 15 00

      Other screws and bolts whether or with nuts or washers

      25%

      15%

      31.

      7318 16 00

      Threaded nuts

      25%

      15%

      32.

      7318 29 90

      Other non-threaded articles

      25%

      15%

      33.

      7320 90 90

      Other springs and leaves of iron/steel

      25%

      15%

      34.

      7325 99 99

      Other cast articles of iron or steel

      25%

      15%

      35.

      7326 19 90

      Others - forged or stamped articles of iron or steel but not further worked

      25%

      15%

      36.

      7326 90 99

      Miscellaneous other articles of iron/steel

      25%

      15%

      37.

      8001

      Unwrought Tin

      5%

      Nil

      38.

      8101 94 00

      Unwrought tungsten, including bars and rods obtained simply by sintering

      5%

      Nil

      39.

      8102 94 00

      Unwrought molybdenum, including bars and rods obtained simply by sintering

      5%

      Nil

      40.

      8103 20

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

      5%

      Nil

      41.

      8105 20 20

      Cobalt, unwrought

      5%

      Nil

      42.

      8106 10 10

      Bismuth, unwrought

      5%

      Nil

      43.

      8109 21 00

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

      10%

      Nil

      44.

      8110 10 00

      Unwrought antimony, powders

      2.5%

      Nil

      45.

      8112 12 00

      Beryllium unwrought, powders

      5%

      Nil

      46.

      8112 31

      Hafnium unwrought, waste and scrap, powders

      10%

      Nil

      47.

      8112 41 10

      Rhenium unwrought

      10%

      Nil

      48.

      8112 69 10

      Cadmium unwrought, Powders

      5%

      Nil

      49.

      8112 69 20

      Cadmium, wrought

      5%

      Nil

       


      Full Text:

      Union Budget 2025-26 (Full) + Finance Bill, 2025

      Topics

      ActsIncome Tax