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In this batch of writ petitions the petitioners have laid challenge, amongst others, on the ground that Section 174 of the KSGST Act is ultra vires of the State's legislative power or on the ground that the demand is barred by limitation under Section 25(1) of the KVAT Act. In some cases, both the grounds have been taken. 2. All counsel agree that the issues stand squarely covered against the petitioners by judgment dated 11th January 2019 in W.P.(C) No.11335 of 2018 and con....
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ORDER The petitioners have assailed the communication/representation dated 27.06.2018 issued by respondent No.6 inter alia seeking a direction to respondent No.6 to act on the representation of the petitioner dated 6.03.2018 at Annexure G to the writ petition and sought for other consequential reliefs. 2. The petitioners claiming to be a private limited company incorporated under the Companies Act, 1956, are engaged in the business of trading in imported and domestically procured plas....
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O R D E R The petitioner is claiming the following reliefs in the writ petition filed under Articles 226 and 227 of the Constitution of India:- (A) Writ of declaration or any other appropriate writ, order or direction to declare entry 5(b) of Schedule II to the GST Act, 2017 (enclosed as Annexure-A) as unconstitutional being violative of Article 366(29A) of the Constitution. (B) Writ of declaration or any other appropriate writ, order or direction to declare entry 5(b) of Schedule....
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The petitioners inter alia have approached this Court under Articles 226/227 of the Constitution of India for issuance of a writ in the nature of certiorari for quashing the letters dated 11.06.2018 and 15.06.2018 (Annexure P-5 and P-6) respectively issued by the Deputy Commissioner, Goods and Service Tax Division, Central Savitri Complex – II, Dada Motor, G.T. Road, Ludhiana. 2. After arguing for sometime, learned counsel for the petitioners submitted that he may be allowed to with....
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TVL. RK MOTORS vs. STATE TAX OFFICER


(Madras High Court | Jan 24, 2019)

ORDER Heard the learned counsel appearing for the writ petitioner and the learned Additional Government Pleader appearing for the respondent. 2. Mr.A.Valivittan, DCTO (Sattur Road) Roving Squad, O/o.The Assistant Commissioner (ST) (Enforcement), Virudhunagar is present and assisted this Court today. 3. By consent of both parties, this writ petition is taken up for disposal at the stage of admission itself. 4. The writ petitioner is an authorised dealer for Bajaj Auto Limited. ....
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The petitioner, a business concern, has sought the following reliefs: “(i) issue a writ of mandamus or direction or order to quash Exts.P5 & P6 (ii) issue writ of mandamus or direction or order to stay all further actions under KVAT Act 03 till final orders are passed (iii) to declare the provisions of clauses (d) and (e) of sub-section (2) of section 174 of the Kerala State Goods and Services Tax Act, 2017 (Act 20 of 2017) as unconstitutional and hence unsustainable in ....
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The petitioner, a business concern, has sought the following reliefs: “(i) To call for the records leading to the issuance of Exhibit-P1 order and issue a writ of certiorari or any other appropriate writ or order quashing Exhibit-P1 assessment order passed for the year 2012-13; (ii) to declare that Clause (d) and (e) of Section 174 of the Kerala Goods and Services Tax Act, 2017 are inconsistent and contradictory with the provisions of Section 19 of the Constitution (One Hundred ....
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The petitioner, a business concern, has sought the following reliefs: “(i) Declare that clauses (a), (b), (c), (d) and (e) of Sub Section 2 of Section 174 of the Kerala State Goods and Services Act 2017 (Act 20 of 2017) is illegal and ultra vires Articles 246A of the Constitution of India, Section 19 of the Constitution (One Hundred and First Amendment) Act, 2016 and the Kerala State Goods and Services Act 2017 (Act 20 of 2017) and is accordingly to be rendered void and unenforceabl....
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ORDER The petitioner is a manufacturer of dried chick peas, gram flour, pulses and grams. The petitioner's claim is that they purchase chick peas, dry them by heating them to a certain degree and the resultant product is known as “Dried Chick Peas”. According to the petitioner, this would have to be classified only under Chapter 0713 of HSN. The petitioner had transported the dried chick peas from Salem to Dindigul. The petitioner had not filed any E-Way bill in view o....
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SUN PHARMACEUTICAL INDUSTRIES LTD.


(Authority for Advance Ruling, Maharashtra | Jan 23, 2019)

PROCEEDINGS (Under section 98 of the Central Goods and Services Tax Act, 2017 and the Maharashtra Goods and Services Tax Act, 2017) The present application has been filed under section 97 of the Central Goods and Services Tax Act, 2017 and the Maharashtra Goods and Services Tax Act, 2017 [hereinafter referred to as “the CGST Act and MGST Act”] by Sun Pharmaceutical Industries Ltd., the applicant, seeking an advance ruling in respect of the following questions. ....
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28 May

☑ Monthly | GSTR-11

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