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    Case LawsIncome Tax
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    Transfer of assessment proceedings for coordinated investigations and administrative convenience upheld where procedural safeguards and factual links exist.
    The judgment explains that transfers of assessment proceedings pursuant to the statutory transfer power may be justified for coordinated enquiries and administrative convenience, provided the decision is not capricious or mala fide. Authorities must afford an opportunity to be heard and consider objections; where factual indicia exist - for example, disclosed transactions such as unsecured loans with searched persons - centralisation can be sustained. The convenience of the assessee is relevant but subservient to effective adjudication and tax collection, and transfers supported by procedural compliance and factual nexus are not arbitrary.
    Case LawsService Tax
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    Transfer of right to use goods: contracts retaining operational control are service arrangements, not deemed sales under VAT.
    The issue is whether supply agreements for cranes, trailers and tank trucks amount to a transfer of the right to use goods under the deemed sale provision. Applying the five BSNL tests-availability of goods, consensus on identity, transferee's legal right to use, exclusivity of use, and non transferability by owner-the contracts failed to meet the criteria. Contractors retained possession, crew, fuel, maintenance and liability, and transferees had only permissive use without effective control, so the arrangements were services, not deemed sales under VAT/sales tax.
    Case LawsIndian Laws
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    Forfeiture of earnest-money deposits under SARFAESI rules stands as a statutory consequence, limiting equitable intervention.
    The analysis affirms that Rule 9(5) of the SARFAESI Rules prescribes an express statutory forfeiture of earnest-money deposits arising from auction terms, and that Sections 73 and 74 of the Indian Contract Act, 1872, addressing contractual damages, do not apply to such statutory forfeitures. Unjust enrichment and equitable considerations cannot supplant a clear statutory forfeiture, and subsequent recovery by the secured creditor does not negate the forfeiture, except in narrowly defined exceptional circumstances where equity may justify relief.
    Case LawsIndian Laws
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    Generality vs. enumeration principle affirms broad delegated rule making power, upholding rules that further an Act's statutory purposes.
    The Court held that Rule 9(3) is intra vires because the general delegated rule making power in section 29A(1) authorises rules that carry out the Act's purposes even when not covered by enumerated heads. Applying the generality vs. enumeration principle, the Court found the enumerated matters in section 29A(2) illustrative and not restrictive, and concluded Rule 9(3) furthers the misconduct chapter's object of maintaining ethical standards and preventing wrongful threshold dismissal of genuine complaints.
    Case LawsIncome Tax
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    Burden of proof in share premium cases: failure to prove investor identity and genuineness sustains addition under section 68.
    The assessment of share premium under section 68 requires the assessee to prove the identity, creditworthiness and genuineness of investors who subscribe at a premium. The court scrutinised disparate allotments made on consecutive days, examined subscribing companies' financials, and applied the doctrine of "source of source" restrictively, holding that incorporation papers or bank payments alone do not discharge the burden. Absent cogent evidence tracing funds to lawful origin and demonstrating commercial rationale for large premiums, additions under section 68 are supportable.
    Case LawsIncome Tax
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    Strict construction of penalty provisions prevents penalty where taxpayer disclosed omitted income before assessment notice.
    The legal focal point is whether Section 271(1)(c) can be invoked where an assessee disclosed omitted income and paid differential tax before initiation of reassessment. Penal provisions require strict construction, and Explanation 1 treats a pre-notice satisfactory explanation and admission of additional income as accepted, precluding characterization as concealment. Additionally, a penalty notice must specify the particular ground for proceeding; failure to do so renders the notice defective and undermines the basis for penalty.
    Case LawsIndian Laws
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    Right to be heard: affected parties must receive documents underlying fraud allegations and be allowed inspection and rebuttal.
    Classification of a loan account as fraud invokes the Principles of Natural Justice, requiring disclosure of the documents forming the basis of a Show Cause Notice and inspection access to bank and Resolution Professional records so the affected party can identify required documents, receive copies, and submit a meaningful reply within specified timelines, with scope to request a personal hearing.
    Case LawsIncome Tax
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    Scope of reassessment: AO may address newly noticed income but remains constrained by the recorded reasons for reopening.
    Where the AO has recorded reasons to believe income escaped assessment, the AO may assess or reassess issues that come to notice during reassessment, but if no additions or modifications are ultimately made in respect of the issues that formed the basis for reopening, the AO cannot make additions or modifications relating solely to other matters that were part of the original assessment. Explanation 3 applies only after reassessment power is validly invoked and cannot be used to deviate from or supplant the recorded reasons.
    Case LawsIncome Tax
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    Corroboration requirement for search statements: unsupported search statements cannot sustain additions without linked incriminating material and fair cross examination.
    Additions for alleged accommodation entries cannot rest solely on statements recorded during search operations; such statements require corroboration by material found in the search that is specifically linked to the assessee. The assessing officer must articulate a factual nexus between seized group material and the assessee, and procedural fairness-including provision of relevant statements and opportunity for cross-examination-is essential. Cure provisions do not validate jurisdictional defects arising from absence of requisite notice or lack of incriminating material.
    Case LawsGST
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    Input Tax Credit eligibility clarified: refund for unutilised ITC limited to inverted duty where input goods tax exceeds output supplies.
    The court construes Section 54(3) narrowly: refund of unutilised ITC for inverted duty arises only where tax on input goods exceeds tax on output supplies. It upholds the constitutional validity of Section 16(2)(c) and Section 16(4), confirms that ITC is subject to legislatively prescribed conditions and time limits, and clarifies that the non-obstante clause in Section 16(2) does not override separate restrictions such as Section 16(4). Affected petitioners may invoke circulars and have eligible ITC claims processed where returns met the prescribed extended filing position.
    Case LawsGST
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    Determination of tax on unaccounted stock must proceed under Sections 73 and 74, not Section 130.
    The Court held that tax determination for excess or unaccounted stock discovered in a survey must proceed under the statutory assessment procedures for undisclosed goods rather than by invoking the survey provision. The assessment code prescribes the exclusive mechanism for quantifying and demanding tax, and survey powers cannot be used to supplant the prescribed steps for computation, notice and imposition of tax or penalty on unaccounted goods.
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    Record-keeping obligations: failure attracts a capped statutory penalty and invalidates arbitrary confiscation without due process.
    The judgment emphasises that registered persons must maintain prescribed books and electronic records under Section 35 and related rules, and that any determination of tax on unaccounted goods must follow the show cause procedures for assessing tax liability. It finds that conditions for confiscation under Section 130 were not met and that penalties must be imposed in accordance with the statutory bifurcation in Section 122, with the offences in question attracting only the capped penalty, thereby underscoring procedural limits on enforcement powers.
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    Limits on Article 142: extraordinary power cannot automatically vacate interim stays; natural justice and supervisory jurisdiction must be preserved.
    Limits on the Supreme Court's extraordinary jurisdiction were defined to prevent blanket, time based vacation of interim stays; equitable power cannot deprive non parties of substantive benefits or negate the right to be heard. The Court confined vacation rules to cases where interim relief was granted without notice, instructed High Courts to grant limited ad interim relief, prioritise vacation applications, avoid routine time bound disposal directives, and recognised that past automatic vacations that led to concluded trials raise finality concerns while endorsing judicial superintendence and natural justice as constitutional constraints.
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    Insolvency plan compliance: failure to acknowledge creditor claims or secure approvals undermines approved resolution plans.
    The court held that a recall application grounded in lack of notice and alleged misrepresentation is maintainable under principles of natural justice. It found the resolution plan non-compliant with Section 30(2) read with Regulations 37 and 38-specifically for failing to acknowledge a creditor's claim, misrecording the payable amount, omitting secured creditor classification despite a charge, and proposing use of third-party statutory land without necessary approvals-deficiencies that materially affected the plan's transparency and treatment of creditor classes.
    Case LawsIndian Laws
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    Vicarious liability of directors clarified: specific averments required to link a director to company affairs before liability attaches.
    The Court held that vicarious liability of a director in cheque dishonour cases cannot be invoked by merely reproducing statutory language or alleging directorship; complaints must contain specific factual averments showing how the director was responsible for or in charge of the company's day to day affairs to link the director to issuance or dishonour of negotiable instruments.
    Case LawsIndian Laws
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    Interim compensation discretion: courts must prima facie assess claims and defences before ordering payment under Section 143A.
    The Court interpreted Section 143A(1) of the Negotiable Instruments Act as conferring a discretionary power to order interim compensation, holding that the word "may" cannot be read as mandatory. Courts must prima facie assess the complainant's case and the accused's defence; the presumption under section 139 alone does not suffice. Interim compensation may be directed only when a prima facie case is established, with the quantum determined after considering transaction nature, parties' relationship, and the accused's paying capacity, and brief reasons must be recorded.
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    Condonation of delay: courts require sufficient cause, balancing strict limitation rules with liberal remedial discretion.
    Principles of condonation of delay require balancing the Limitation Act's public policy against stale litigation: Section 3 is to be strictly interpreted while Section 5 is to be construed liberally to allow judicial discretion where sufficient cause is shown. Discretion remains limited by considerations such as inordinate delay, negligence, and lack of due diligence, and prior decisions granting condonation do not automatically justify relief unless the factual matrices are substantially similar.
    Case LawsIncome Tax
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    Registration under Section 80G: provisional approval permits subsequent final registration regardless of prior commencement of activities.
    The Tribunal held that institutions granted provisional approval under the First Proviso to Section 80G(5) are entitled to apply for final registration under the proviso's final-registration clause, and that the relevant date of commencement is to be counted from activities undertaken after grant of provisional registration; a prior commencement of activities before provisional grant cannot alone justify rejection of a final-approval application.
    Case LawsCustoms
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    Binding nature of departmental instructions vs natural justice: tribunals may prioritize procedural fairness over monetary thresholds.
    The CESTAT held that CBIC instructions bind departmental officers but do not bind courts and tribunals, which must safeguard natural justice. The Tribunal found the appellate order defective for failing to remit valuation reassessment to the proper officer as statutorily required, treated related Bills of Entry as a single transaction for monetary limit calculation, and invoked its procedural power to hear departmental appeals on merits despite the Board's monetary threshold.
    Case LawsIncome Tax
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    Search assessment provisions under Sections 153A and 153C override ordinary reassessment time limits; asset-threshold verification required.
    The judgment holds that search-triggered assessment provisions function as non-obstante clauses displacing ordinary reassessment time limits, distinguishes the enduring liability to tax from the temporal right to assess, prescribes that block periods are computed from the year of search (or date of receipt of seized records for non-searched persons), and treats the asset-represented income threshold as a mandatory, aggregable precondition requiring the assessing officer's recorded satisfaction.

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

      3 February, 2020

      Contents
      Rules & Regulations
      Plus +
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      Budget 2020-21 + FINANCE BILL, 2020

      AMENDMENTS

      A.

      Tariff rate changes for Basic Customs Duty [to be effective from 02.02.2020] * [Clause 115 (a) of the Finance Bill, 2020]

      Rate of Duty

      S.No.

      Heading, sub-heading, tariff item

      Commodity

      From

      To

       

       

      Food processing

       

       

      1.

      0802 32 00

      Walnuts, shelled

      30%

      100%

       

       

      Chemicals

       

       

      2.

      3824 99 00

      Other Chemical products and preparations of the chemical or allied industries, not elsewhere specified

      10%

      17.5%

       

       

      Footwear

       

       

      3.

      6401, 6402,

      6403, 6404, 6405

      Footwear

      25%

      35%

      4.

      6406

      Parts of footwear

      15%

      20%

       

       

      Household Items

       

       

      5.

      6911 10, 6911 90 20, 6911 90 90

      Tableware, kitchenware, water filters (of a capacity not exceeding 40 litres) and other household articles, of porcelain of china.

      10%

      20%

      6.

      6912 00 10, 6912 00 20, 6912 00 40, 6912 00 90

      Ceramic tableware, kitchen-ware, clay articles and other household articles

      10%

      20%

      7.

      7013

      Glassware of a kind used for table, kitchen, toilet, office, indoor decoration or Similar purposes (other than that of heading 7010 or 7018)

      10%

      20%

      8.

      7323

      Table kitchen or other household articles and parts thereof, of iron or steel, iron or steel wool; pot scourers and scouring or polishing pads, gloves and the like, of iron or steel, including pressure cookers pans utensils, misc articles such as iron & steel wool, polishing pads, gloves etc.

      10%

      20%

      9.

      7418 10

      Table, kitchen or other household articles and parts thereof, of copper; pot scourers and scouring or polishing pads, gloves and the like, of copper.

      10%

      20%

      10.

      7615 10

      Table, kitchen or other household articles and parts thereof, of aluminum; pot scourer and scouring or polishing pads, gloves and the like, of aluminum.

      10%

      20%

      11.

      8301

      Padlocks and locks (key, combination or electrically operated) of base metal; Clasps and frames with clasps, incorporating locks of base metals; keys for any of the foregoing articles, of base metals (Other than lock of a kind used for automobiles.)

      10%

      20%

      12.

      9603

      Brooms, brushes, hand operated mechanical floor sweepers, not motorized, mops and feather dusters; prepared knots and tufts for broom or brush making; paint pads and rollers; Squeegees (other than roller squeegees).

      10%

      20%

      13.

      9604 00 00

      Hand sieves and hand riddles.

      10%

      20%

      14.

      9615

      Combs, hair-slides and the like, hairpins curling pins, curling grips, hair curlers and the like other than those of heading 8516 and parts thereof.

      10%

      20%

      15.

      9617

      Vacuum flasks and other vacuum vessels, complete with cases; parts thereof other than glass inners.

      10%

      20%

      16.

      8414 51 10

      Table Fans

      10%

      20%

      17.

      8414 51 20

      Ceiling Fans

      10%

      20%

      18.

      8414 51 30

      Pedestal Fans

      10%

      20%

      19.

      8414 59 20

      Blowers, Portable

      10%

      20%

      20.

      8509 40 10

      Food Grinders

      10%

      20%

      21.

      8509 40 90

      Other grinders and Mixer

      10%

      20%

      22.

      8509 80 00

      Other Appliances

      10%

      20%

      23.

      8510 10 00

      Shavers

      10%

      20%

      24.

      8510 20 00

      Hair Clippers

      10%

      20%

      25.

      8510 30 00

      Hair-removing appliances

      10%

      20%

      26.

      8516 10 00

      Water heaters and immersion heaters

      10%

      20%

      27.

      8516 21 00

      Storage heating radiators

      10%

      20%

      28.

      8516 29 00

      Other electrical space heating apparatus

      10%

      20%

      29.

      8516 31 00

      Hair Dryers

      10%

      20%

      30.

      8516 32 00

      Other hair dressing apparatus

      10%

      20%

      31.

      8516 33 00

      Hand Drying apparatus

      10%

      20%

      32.

      8516 40 00

      Electric smoothing irons

      10%

      20%

      33.

      8516 60 00

      Other ovens, cookers, cooking plates, boiling rings, grillers and roasters

      10%

      20%

      34.

      8516 71 00

      Coffee and Tea Makers

      10%

      20%

      35.

      8516 72 00

      Toasters

      10%

      20%

      36.

      8516 79 10

      Electro-thermic fluid heaters

      10%

      20%

      37.

      8516 79 20

      Electrical or electronic devices for repelling insects

      10%

      20%

      38.

      8516 79 90

      Other electro-thermic appliances used for domestic purposes

      10%

      20%

      39.

      8516 80 00

      Electric heating resistors

      10%

      20%

       

       

      Precious Metals

       

       

      40.

      7118

      Coin

      10%

      20%

       

       

      Machinery

       

       

      41.

      8414 51 40

      Railway Carriage fans

      7.5%

      10%

      42.

      8414 51 90

      Other fans with a self-contained electric motor not exceeding 125W

      7.5%

      20%

      43.

      8414 59 10

      Air Circulator

      7.5%

      10%

      44.

      8414 59 30

      Industrial fans blowers and similar blowers

      7.5%

      10%

      45.

      8414 59 9

      Other industrial fans

      7.5%

      10%

      46.

      8414 30 00, 8414 80 11

      Compressor of Refrigerator and Air conditioner

      10%

      12.5%

      47.

      8419 89 10

      Pressure vessels

      7.5%

      10%

      48.

      8418 10 10

      Commercial type combined refrigerator freezers, fitted separate external doors

      7.5%

      15%

      49.

      8418 30 10

      Commercial freezer of chest type, not exceeding 800 litre capacity

      7.5%

      15%

      50.

      8418 30 90

      Other chest type freezers

      10%

      15%

      51.

      8418 40 10

      Electrical freezers of upright type, not exceeding 800 litre capacity

      7.5%

      15%

      52.

      8418 40 90

      Other freezers of upright type, not exceeding 800 litre capacity

      7.5%

      15%

      53.

      8418 50 00

      Refrigerating or freezing display counters, cabinets, Show-cases and the like

      7.5%

      15%

      54.

      8418 61 00

      Heat pumps other than air conditioning machines

      7.5%

      15%

      55.

      8418 69 10

      Ice making machinery

      7.5%

      15%

      56.

      8418 69 20

      Water cooler

      10%

      15%

      57.

      8418 69 30

      Vending machine, other than automatic

      10%

      15%

      58.

      8418 69 40

      Refrigerating equipment/devices used in leather industry

      7.5%

      15%

      59.

      8418 69 50

      Refrigerated farm tanks, industrial ice cream freezer

      7.5%

      15%

      60.

      8418 69 90

      Others (like freezers of capacity 800 litres and more etc.]

      7.5%

      15%

      61.

      8515 (except 8515 90 00)

      Welding and Plasma cutting machines

      7.5%

      15%

       

       

      Other Electronic goods

       

       

      62.

      8504 40 (except 8404 40 21)

      Static Converters

      15%

      20%

      63.

      8504 40 21

      Dip bridge rectifier

      10%

      20%

      64.

      8517 70 10

      Populated, loaded or stuffed printed circuit boards

      10%

      20%

       

       

      Automobile and automobile parts

       

       

      65.

      8421 39 20, 8421 39 90

      Catalytic Convertor

      10%

      15%

       

       

      Furniture Goods

       

       

      66.

      9401

      Seats and parts of seats (other than aircraft seats and their parts)

      20%

      25%

      67.

      9403

      Other Furniture and parts thereof

      20%

      25%

      68.

      9404

      Mattress supports: Articles of bedding and similar furnishing

      20%

      25%

      69.

      9405

      Lamps and lighting fittings including searchlights and spotlights and pads thereof; Illuminated signs, illuminated name plates and the like, having a permanently fixed light source, and parts thereof (except solar lantern and solar lamps).

      20%

      25%

       

       

      Toys

       

       

      70.

      9503

      Tricycles, scooters, pedal-cars and similar wheeled-toys; dolls' carriages; dolls; other toys; reduced-Size (“scale”) models and similar recreational models, working or not; puzzles of all kinds

      20%

      60%

       

       

      Stationary items

       

       

      71.

      8304 00 00

      Filing, cabinets. card-index cabinets, paper-trays, paper rests, pen trays, office-stamp stands and similar office or desk equipment of base metal, Other than office furniture of heading 9403

      10%

      20%

      72.

      8305

      Fittings for loose-leaf binders or files, letter clips, letter corners, paper clips, indexing tags and similar office articles, of base metal; staples in strips (for example, for offices, upholstery, packaging), of base metal

      10%

      20%

      73.

      8310

      Sign-plates, name-plates, address-plates and similar plates, numbers, letters and other symbols, of base metal, excluding those of heading 9405

      10%

      20%

       

       

      Miscellaneous

       

       

      74.

      6702

      Artificial Flowers

      10%

      20%

      75.

      7018 10 20

      Glass Beads

      10%

      20%

      76.

      8306

      Bells, gongs, statuettes, trophies and like, non-electric of base metal; statuettes and other ornaments of base metal; photograph, picture or similar frames, of base metal; mirrors of base metal.

      10%

      20%

      B.

      New entries added to the First Schedule [to be effective from 02.02.2020] * [Clause 115(b) of the Finance Bill, 2020]

      S. No

      Tariff Item

      Description

      Tariff Rate

      Effective rate

      1.

      8414 51 50

      Wall fans

      20%

      20%

      2.

      8529 90 30

      Open cell for television set

      15%

      0%

      3.

      8541 40 11

      Solar cells, not assembled

      20%

      0%

      4.

      8541 40 12

      Solar cells, assembled in modules or made up in panels

      20%

      0%

      *Will come into effect immediately owing to a declaration under the Provisional Collection of Taxes Act, 1931.

       


      Full Text:

      Budget 2020-21 + FINANCE BILL, 2020

      Topics

      ActsIncome Tax