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1 Let Notice be issued to the respondents, returnable on 19th June 2019. Having heard Ms. Vaibhavi K. Parikh, the learned counsel appearing for the writ applicant and having gone through the materials on record, we are of the view that the writ applicant has been able to make out a strong prima facie case to have an interim order in his favour. 2 We take notice of the fact that the writ applicant is engaged in the business of manufacturing and trading of nonferrous met...
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The petitioner in WP(C) No. 33424/2018 is in appeal against dismissal of the writ petition, through the judgment dated 24.01.2019. The respondents herein are the respondents in the writ petition. 2. Ext.P1 order of assessment with respect to the year 2011- 12 was under challenge in the writ petition, mainly contending that the order is unsustainable because the proceedings was initiated beyond the time limit stipulated in Section 25(1) of the Kerala Value Added Tax Act ('KVAT Act'...
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HARMILAP MEDIA (P) LTD.


(Authority for Advance Ruling, Uttarakhand | Jun 12, 2019)

ORDER This is an application under sub-section (1) of Section 97 of the CGST/SGST Act, 2017 (hereinafter referred to as Act) and the rules made thereunder filed by M/s. Harmilap Media (P) Ltd., 2nd Floor C-34, Meedo Plaza, Rajpur Road, Dehradun seeking an advance ruling on following issues : (a) applicability of GST rate on selling of space/ time for advertisement  in print media in case of advertising companies; (b) applicability of GST rate if advertising company/ agency se...
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UTTRANCHAL FILAMENT (INDIA)


(Authority for Advance Ruling, Uttarakhand | Jun 12, 2019)

ORDER This is an application under sub-section (1) of Section 97 of the CGST/SGST Act, 2017 (hereinafter referred to as Act) and the rules made thereunder filed by M/s. Uttranchal Filament (India), Plot No. 14, 15, 16 Sector-2, IIE, SIDCUL, Hardwar seeking an advance ruling on following issue : (a) Whether the meaning of word 'lapse' in Notification No. 20/2018-Central Tax (Rate) would mean lapse for refund or lapse for utilization of input tax credit for payment of output tax...
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1. The present Report dated 13.03.2019, has been received from the Applicant No. 2 i.e. the Director General of Anti-Profiteering (DGAP) after detailed investigation under Rule 129 (6) of the Central Goods & Service Tax (CGST) Rules, 2017. The facts of the case are that an application dated 27.11.2017 was filed before the Standing Committee on Anti-profiteering under Rule 128 of the CGST Rules, 2017, by the Applicant No. 1, against the Direct To Home (DTH) industry in general stating that...
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The petitioner in WP(C) No.41831/2018 is in appeal challenging dismissal of the writ petition. The respondents herein are the respondents in the writ petition. 2. Ext.P3 order of assessment with respect to the year 2014-15 was challenged in the writ petition mainly contending that tax imposed against sale of medicine in the course of treatment done at the appellant's hospital, is bad and unsustainable in view of the settled legal position. Inter alia, the appellant challenged the cons...
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Let NOTICE be issued to the respondent returnable on 19th June, 2019. Ms. Maithili D. Mehta, the learned AGP waives service of notice for and on behalf of the respondent. Having heard the learned counsel appearing for the parties and having gone through the materials on record, we are of the view that the writ applicant has been able to make out a strong prima facie case to have some interim order in his favour at this stage. In the case on hand, a truck and a consignment o...
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ORDER Learned counsel for the petitioner submits that he will file an application in the High Court for review of the impugned order. The special leave petition is dismissed as not pressed. Pending application(s), if any, stands disposed of. ...
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1. In response to the notice issued by this Court, Ms. Maithili Mehta, the learned Assistant Government Pleader, has appeared on behalf of the respondents. 2. By this writ application under Article 226 of the Constitution of India, the writ applicant has prayed for the following reliefs: “(A) Your lordship may be pleased to admit and allow this writ petition. (B) The Hon’ble Court may be pleased to issue writ of mandamus, Quo Warranto, or any other appropriate writ, or...
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The appellant herein is challenging the judgment in WP(C) No. 402/2019, dated 21.01.2019, through which the writ petition was dismissed. The respondents herein are the respondents in the writ petition. 2. Exts.P1 and P2 orders of assessment and demand notices issued with respect to the years 2011-12 and 2012-13 were under challenge in the writ petition. One of the main grounds raised was that, the assessment proceedings was initiated beyond the time limit stipulated under Section 25(1) of...
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25 May

☑ Monthly | PMT-06

PMT-06 Monthly tax payment for Apr 2025 under QRMP Scheme [Rule 61(1)(ii) - Proviso to Section 39(7)].

Taxpayers have a choice to pay tax either, as per -  

A) Fixed Sum Method OR 
B) Self assessment basis subject to interest on short payment of taxes.
(Notification No.85/2020 - CT)
 
28 May

☑ Monthly | GSTR-11

GSTR-11 for the m/o Apr 2025 (Statement of inward supplies by persons having Unique Identification Number (UIN)).