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Recent Case Laws

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2026 (7) TMI 1276

Input tax credit fraud allegations failed where actual goods movement and tax payment were established without recorded evasion findings.

GST

2026 (7) TMI 1275

Redemption fine linked to confiscated goods remains eligible for settlement under the legacy indirect-tax dispute resolution scheme.

GST

2026 (7) TMI 1274

Statutory service of an uncommunicated adjudication order triggers limitation for challenge after bank-account recovery withdrawal.

GST

2026 (7) TMI 1273

Statutory appellate remedy for a GST demand must be pursued; writ jurisdiction was not entertained.

GST

2026 (7) TMI 1272

Regular bail in alleged GST invoice fraud supported where evidence was secured and further custody was unnecessary.

GST

2026 (7) TMI 1271

Consolidated GST proceedings across multiple financial years remain within the Proper Officer's jurisdiction under Sections 73 and 74.

GST

2026 (7) TMI 1248

Reassessment beyond four years fails where original scrutiny examined disclosures and reopening rests solely on a change of opinion.

Income Tax

2026 (7) TMI 1247

Rectification jurisdiction cannot reopen a reasoned reassessment ruling for merits reconsideration; recall orders were invalid.

Income Tax

2026 (7) TMI 1246

Bad-debt write-offs require statutory conditions and accounting irrecoverability; documented expired inventory write-offs remain allowable when supported by evidence.

Income Tax

2026 (7) TMI 1245

Section 54F investment requirement prevails where developer-caused delays postpone residential property completion, delivery, or registration.

Income Tax

2026 (7) TMI 1244

Unadjudicated depreciation on goodwill challenge justified writ revival and an interim stay on reassessment proceedings.

Income Tax

2026 (7) TMI 1243

Independent computation of Chapter VI-A deductions preserved, while aggregate deductions remain capped at eligible business profits.

Income Tax

2026 (7) TMI 860

Fictitious-name benami transactions permit attachment of routed funds when cumulative evidence remains unrebutted by the benefiting participant.

Benami Property

2026 (7) TMI 736

Benami money trail and prejudice test shape why attachment survived and the cross-examination challenge did not succeed.

Benami Property

2026 (7) TMI 672

Benami cash routing and no proven prejudice from denied cross-examination led to upheld attachment.

Benami Property

2026 (7) TMI 671

Benami finding set aside for incomplete appreciation of evidence; matter remanded for fresh consideration of ownership and attachment.

Benami Property

2026 (7) TMI 539

Benami transaction analysis rejects sham gold sale used to convert demonetised cash into banking credits

Benami Property

2026 (7) TMI 1211

Doctrine of election prevents a will beneficiary from asserting inconsistent ownership, while permissive office occupation creates no life interest.

Benami Property

2026 (7) TMI 1210

Sub-contractor notification benefit remained undisturbed as the revenue appeal fell below the prescribed monetary litigation threshold.

Customs

2026 (7) TMI 1209

Customs classification of ONT, ONU and OLT as data transmission machines remains unchanged; exemptions and confiscation require reconsideration.

Customs

2026 (7) TMI 1208

In-situ concrete shuttering panels qualify as aluminium structures, not moulds, where they support permanent construction and are reused.

Customs

2026 (7) TMI 1207

Aluminium formwork classification favours aluminium structures where panels provide temporary in-situ shuttering rather than produce separate moulded articles.

Customs

2026 (7) TMI 1206

Provisional customs assessments require lawful finalisation before short-paid duty demands, while proven undervaluation supports transaction value rejection.

Customs

2026 (7) TMI 1205

Machinery-parts classification of floating seals limits extended recovery and consequential confiscation where import disclosures are complete

Customs

2026 (7) TMI 849

Cheating requires dishonest intent at inception; subsequent commercial default and settled insolvency dues cannot sustain criminal prosecution.

Companies Law

2026 (7) TMI 848

Stamp duty on amalgamation orders requires relevant approval-stage valuation material, not reliance solely on an earlier valuation report.

Companies Law

2026 (7) TMI 847

Borrower interest liabilities survive NPA classification, while listed-entity auditors require evidence, mandatory quality review and appropriate modified opinions.

Companies Law

2026 (7) TMI 728

Discretionary transfer of winding-up proceedings depends on timely, bona fide grounds and may be refused once liquidation has substantially progressed.

Companies Law

2026 (7) TMI 1010

Production of company records cannot serve as evidence-gathering for unsubstantiated oppression and mismanagement claims by majority shareholders.

Companies Law

2026 (7) TMI 1009

Discretionary restoration costs require reasoned, case-specific justification and may not apply to statutory authorities performing assessment functions.

Companies Law

2026 (7) TMI 846

Public duty in stock exchange governance may bring senior officers within anti-corruption law, subject to factual determination.

SEBI

2026 (7) TMI 769

Mandatory mutual-fund compliance requires maturity redemption, proper rollover consent, disclosure, and due diligence despite investor gains or no loss

SEBI

2026 (7) TMI 593

Depository liability for participant misconduct upheld where supervisory safeguards failed and arbitral award was not patently illegal.

SEBI

2026 (7) TMI 1135

Pre-cognizance hearing rights apply before SEBI Special Courts take cognizance of complaints under the procedural framework.

SEBI

2026 (6) TMI 717

Statutory appeal bars writ challenge to SEBI IPO approval; petitioner must use the appellate remedy instead.

SEBI

2026 (6) TMI 1373

Negative futures settlement rates upheld where contract adopted external benchmark and writ relief could not rewrite final settlements.

SEBI

2026 (7) TMI 1201

Commercial wisdom in resolution-plan approval prevailed as challenges alleging CIRP irregularities and statutory non-compliance were dismissed by the Supreme Court.

IBC

2026 (7) TMI 1200

Part-performance protection may fail where an unregistered transfer MoU cannot satisfy compulsory registration requirements.

IBC

2026 (7) TMI 1199

Financial debt and default established: pending settlements, counterclaims and viability assertions do not defer insolvency admission.

IBC

2026 (7) TMI 1198

Part-payment by the borrower extends limitation against a co-extensive personal guarantor, keeping insolvency proceedings maintainable.

IBC

2026 (7) TMI 1197

Insolvency resolution process costs exclude superannuation gratuity and leave encashment, which are governed by resolution-plan payment priorities.

IBC

2026 (7) TMI 1196

Cross-assignment suspension of a resolution professional was stayed pending appeal to preserve creditors' committees' statutory decision-making role.

IBC

2026 (7) TMI 726

Director liability under FEMA requires proof of control or culpable involvement; mere designation alone does not justify penalty.

FEMA

2026 (7) TMI 660

Pre-deposit non-compliance under FEMA did not bar restoration where readiness to pay and medical hardship were shown.

FEMA

2026 (7) TMI 659

Sub judice protection under FEMA barred fresh notice and complaint based on the same cause of action, leading to quashing.

FEMA

2026 (7) TMI 658

Delayed import payments as trade credit under FEMA, with RBI permission unable to cure the contravention and directors held liable.

FEMA

2026 (7) TMI 657

FEMA compliance breaches upheld, but penalties reduced where delayed reporting and share allotment were established on the facts.

FEMA

2026 (7) TMI 330

FEMA penalty limits and power of attorney liability clarified: statutory fit and duplicate penalties for same acts were rejected.

FEMA

2026 (5) TMI 378

Natural justice in competition proceedings requires notice before departing from the investigation report's findings.

Law of Competition

2026 (5) TMI 1743

Merger control disclosure and finality: composite transactions need full notice, but approved combinations cannot be reopened without statutory power.

Law of Competition

2026 (5) TMI 1307

Prima facie antitrust screening requires concrete evidence; regulated pricing and disclosed tender preferences did not establish abuse of dominance.

Law of Competition

2026 (4) TMI 801

Tacit cartel participation and partner liability upheld where repeated coordination emails, not dissociation, proved competition law breach.

Law of Competition

2026 (2) TMI 846

Prima Facie Assessment: Regulatory and expert reports can inform but absence of AAEC bars a DG inquiry.

Law of Competition

2026 (1) TMI 1401

Coal handling charges at port found imposed through mandatory coordination fees; impugned order set aside and remitted.

Law of Competition

2026 (7) TMI 924

Territorial jurisdiction in money-laundering cases may be concurrent, but the linked scheduled offence requires trial before the same Special Court.

Money Laundering

2026 (7) TMI 1131

Money-laundering bail proceedings record refusal of bail at this stage and disposal of connected applications.

Money Laundering

2026 (7) TMI 1055

Prima facie money-laundering material defeats discharge where trustee conduct links the accused to loan diversion and laundering allegations.

Money Laundering

2026 (7) TMI 1007

Knowing participation in routing tainted loan funds prima facie supports a money-laundering complaint and defeats quashing.

Money Laundering

2026 (7) TMI 1006

Consideration of objections before bank account attachment required; matter remitted for a reasoned decision on the petitioner's objections.

Money Laundering

2026 (7) TMI 1005

Prima facie scrutiny at discharge permits money-laundering prosecution to continue without adjudicating predicate offences or asset legitimacy.

Money Laundering

2026 (7) TMI 1193

SEZ service-tax refunds remain available for authorised operations even when approved services are not wholly consumed within the zone.

Service Tax

2026 (7) TMI 1192

Input service credit for repairs to existing taxable-service premises remains available despite construction and works-contract exclusions.

Service Tax

2026 (7) TMI 1191

Delayed payment charges are compensatory defaults, not consideration for agreeing to tolerate an act or taxable stockbroking services.

Service Tax

2026 (7) TMI 1190

Taxable service classification: re-rubberising client-owned printing rollers falls under Business Auxiliary Service rather than repair service.

Service Tax

2026 (7) TMI 1130

Suppression of taxable receipts justified extended service-tax recovery limitation and consequential penalty for non-disclosure in statutory returns.

Service Tax

2026 (7) TMI 1129

Composite layout-development contracts involving goods transfers are treated as works contracts, with material-value exclusion supported by documentary evidence.

Service Tax

2026 (7) TMI 1189

Reasoned customs classification determination required as unexplained remand without assessing circular applicability was treated as unsustainable.

Central Excise

2026 (7) TMI 1188

Manufacture determination must precede excise-duty quantification when conversion-kit assembly is challenged as outside the levy.

Central Excise

2026 (7) TMI 1187

Cenvat credit for aircraft and executive-jet services remains available when documented business use is established without evidence of misuse.

Central Excise

2026 (7) TMI 1186

Retrospective clarification of sales promotion supports CENVAT credit for commission-agent services used to market dutiable goods.

Central Excise

2026 (7) TMI 1185

Prospective Cenvat credit limitation cannot defeat entitlement accrued on inputs and services received before the amended rule took effect.

Central Excise

2026 (7) TMI 1127

Extended limitation for duty evasion remains valid where notice facts establish deliberate suppression, with personal penalties sustained.

Central Excise

2026 (7) TMI 1184

Original fixed capital investment governs the additional-investment test for fiscal exemption on expansion or diversification of industrial units

VAT / Sales Tax

2026 (7) TMI 1183

Differential VAT must be computed on the original tax-exclusive sale price, not by recasting prior collections as tax-inclusive consideration.

VAT / Sales Tax

2026 (7) TMI 1182

Trademark-based deemed first sale taxation applies to branded blended coffee sold after the initial sale point.

VAT / Sales Tax

2026 (7) TMI 1124

High seas sale proof and compliance with conditional manufacturing-use exemptions determine State sales tax liability.

VAT / Sales Tax

2026 (7) TMI 1123

Transit pass evidence is not conclusive; circumstantial discrepancies can support penalties for attempted diversion and tax evasion.

VAT / Sales Tax

2026 (7) TMI 1122

Consideration of relevant evidence in works-contract deductions requires the Tribunal to examine records or permit their production.

VAT / Sales Tax

2026 (7) TMI 911

Specialised agricultural-land valuation qualifications remain valid, and civil-engineering credentials cannot replace separate eligibility requirements for registration.

Wealth-tax

2026 (3) TMI 1241

Agricultural land under legal construction restrictions is not 'urban land' for wealth-tax purposes under Section 2(ea)(v).

Wealth-tax

2026 (2) TMI 393

Scheme of demerger asset vesting prevents attachment for demerged company's tax; attachment allowed only for resulting company's own liability

Wealth-tax

2025 (9) TMI 473

Appeals dismissed as not pressed; properties treated as commercial establishments excluded from "assets" under Section 2(ea) Wealth Tax Act

Wealth-tax

2025 (5) TMI 151

Land loses wealth tax exemption during construction period under Section 2(ea) - exemption only applies after completion

Wealth-tax

2025 (5) TMI 1125

Rental income from land plots cannot be denied based on later verification findings from different assessment year

Wealth-tax

2026 (7) TMI 990

Cheque dishonour presumptions remain unrebutted where the accused presents inconsistent, unsupported repayment and security-cheque defences.

Indian Laws

2026 (7) TMI 989

Cheque dishonour prosecution requires timely presentation and valid service of an accurate demand notice; defective compliance sustains acquittal.

Indian Laws

2026 (7) TMI 832

Recovery certificates could not support insolvency notices before the later deeming provision, which had no retrospective operation.

Indian Laws

2026 (7) TMI 1181

Cheque presumptions survive cash-loan restrictions, while rebuttal requires cogent evidence and overlooked lending-capacity evidence warrants fresh consideration.

Indian Laws

2026 (7) TMI 1180

Corporate restructuring disputes requiring statutory adjudication are non-arbitrable, permitting exceptional supervisory review of an arbitral jurisdictional order.

Indian Laws

2026 (7) TMI 1120

Cheque dishonour presumptions applied where execution, consideration and enforceable debt were proved despite signature mismatch and blank-cheque defence.

Indian Laws


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