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Recent Case Laws

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2026 (9) TMI 945

Input tax credit eligibility tied to supplier tax payment faces interim stay pending constitutional review

GST

2026 (9) TMI 944

Electronic GST appeal access preserved where portal limitations prevent filing against nil-demand orders after disputed payment.

GST

2026 (9) TMI 943

Foundational facts for fraud or suppression are mandatory; unsupported extended GST recovery notices are invalid.

GST

2026 (9) TMI 942

Supplier GST certificates require correct recipient GSTIN details before disputed tax demands can be reconsidered through fresh adjudication.

GST

2026 (9) TMI 941

Penalty pre-deposit under Section 107(6) does not apply when the adjudication order includes a tax demand.

GST

2026 (9) TMI 940

Medical incapacity justified fresh GST assessment adjudication despite expired appeal limitation, subject to deposit and documented reply.

GST

2026 (9) TMI 937

Reassessment notices issued to dissolved merged entities are invalid when tax authorities know the merger.

Income Tax

2026 (9) TMI 936

Approved resolution plans freeze unclaimed income-tax arrears, preventing recovery against corporate debtors after plan approval and fresh-start implementation.

Income Tax

2026 (9) TMI 935

Interest-waiver eligibility requires reliance on a binding judicial order and full payment of the principal tax demand.

Income Tax

2026 (9) TMI 934

Reassessment sanction requirements invalidate notices issued beyond three years without approval from the prescribed higher authority.

Income Tax

2026 (9) TMI 933

Penalty jurisdiction under Section 271D lay outside the Assessing Officer's powers, invalidating revision for non-initiation of proceedings.

Income Tax

2026 (9) TMI 932

Reassessment Scope Bars Separate Capital-Gains Addition When the Original Reopening Issue Fails Under Recorded Reasons

Income Tax

2026 (8) TMI 818

Benami property attachment sustained where alleged loan consideration lacked credible proof, traceable lenders, and explained funding sources.

Benami Property

2026 (8) TMI 817

Benami property transactions arise where beneficial ownership funds acquisitions and ostensible owners cannot prove independent means or genuine loans.

Benami Property

2026 (8) TMI 439

Benami ownership requires proof of consideration and beneficial ownership, with cross-examination required for retracted foundational statements.

Benami Property

2026 (8) TMI 438

Provisional attachment requires evidence of alienation risk; prior Income Tax Department custody made attachment unsustainable.

Benami Property

2026 (8) TMI 1545

Benami property exceptions protect a father's purchase in minor children's names from statutory bar and plaint rejection.

Benami Property

2026 (8) TMI 1327

Benami transaction definition requires owner's lack of knowledge; acknowledged share allotment and buy-back consideration defeated the statutory claim.

Benami Property

2026 (9) TMI 905

Adjustment of SAD refunds against non-final drawback demands is impermissible, requiring release of retained refunds with applicable interest.

Customs

2026 (9) TMI 904

Transaction value rejection requires proof of importer misdeclaration; supplier shipment errors cannot sustain enhanced duty, confiscation or penalties.

Customs

2026 (9) TMI 903

Concealment of undeclared imports exposes declared goods to confiscation, while redemption fine and penalties require proportionality.

Customs

2026 (9) TMI 902

Written acceptance of enhanced customs value cannot waive statutory valuation safeguards or the importer's right to challenge reassessment.

Customs

2026 (9) TMI 901

Bona fide pursuit before incorrect forums can exclude limitation time, enabling condonation of the residual appellate delay.

Customs

2026 (9) TMI 900

Burden of proving smuggled gold defeats confiscation where foreign origin, illicit importation, and corroborated evidence are absent.

Customs

2026 (9) TMI 896

Section 230 compromise period may be extended where changed creditor circumstances support value maximisation and corporate revival.

Companies Law

2026 (9) TMI 747

Partnership dissolution requires liquidation or market-value settlement, preserving an outgoing partner's asset share beyond dissolution-date valuation.

Companies Law

2026 (9) TMI 479

Director disqualification cannot deactivate a DIN without Rule 11 compliance and a prior hearing under natural justice.

Companies Law

2026 (9) TMI 423

Company investigation safeguards require recorded statutory satisfaction and prior hearing before external agencies receive tracking-information directions.

Companies Law

2026 (9) TMI 358

Permanent winding-up stays require a bona fide revival plan advancing public interest, commercial morality, creditor settlement and worker protections.

Companies Law

2026 (9) TMI 208

Clear court undertakings support contempt, while asset-dissipation risk can justify security for enforcement of foreign money decrees.

Companies Law

2026 (9) TMI 98

Competing open-offer timelines run from the first detailed public statement, preventing revival after the offer process closes.

SEBI

2026 (9) TMI 663

Buyback escrow release does not immunise issuers from independently proven fraud proceedings under market-abuse rules.

SEBI

2026 (9) TMI 662

Disgorgement and co-location access issues remain legally open after settlement-based disposal of securities market appeals.

SEBI

2026 (9) TMI 561

Summons before arrest warrants: transferred complaints require accused already on bail to receive an initial opportunity to appear.

SEBI

2026 (9) TMI 302

Leave against acquittal requires arguable grounds for deeper scrutiny, while certified-copy time is excluded from limitation.

SEBI

2026 (9) TMI 206

Clearing member liability for trading member client defaults requires a statutory duty and authorised monetary remedy.

SEBI

2026 (9) TMI 830

Forensic audit evidence supports fraudulent transaction findings when management cannot rebut reliable records, sustaining creditor-protection contribution liability.

IBC

2026 (9) TMI 829

Prospective liquidation amendments cannot disrupt a going-concern sale process commenced under earlier governing regulations and liquidation order.

IBC

2026 (9) TMI 828

Independent liquidation assessment is required before liquidation; viable settlements may justify restoring CIRP for withdrawal consideration.

IBC

2026 (9) TMI 746

Without-prejudice deposits cannot replace determination of maintainability, financial debt and default in Section 7 insolvency proceedings.

IBC

2026 (9) TMI 745

Resolution applicant death does not justify liquidation; plan viability and pending CIRP withdrawal require consideration first.

IBC

2026 (9) TMI 744

Section 32A immunity protects going-concern liquidation purchasers from pre-sale liabilities, subject to statutory conditions and separate authority approvals.

IBC

2026 (9) TMI 827

Director liability for unrealised export proceeds survives company liquidation when reasonable recovery steps remain unproven.

FEMA

2026 (9) TMI 743

Continuing foreign-asset holdings permit prospective seizure of equivalent domestic assets where statutory suspicion and Indian residence are established.

FEMA

2026 (9) TMI 559

Proportionate penalty under foreign exchange law requires reasoned discretion; an unexplained unchanged quantum was reduced.

FEMA

2026 (8) TMI 801

Equivalent-value property seizure under FEMA may proceed on prima facie evidence of unauthorised overseas fund transfers.

FEMA

2026 (8) TMI 165

Proof of actual software receipt is required for foreign-exchange remittances; authorised company officers remain liable without due diligence.

FEMA

2026 (8) TMI 164

Foreign-exchange compliance breaches in share transfers and escrow security arrangements sustained, while chairman's residential-status charge failed.

FEMA

2026 (7) TMI 1459

Exclusive supply and customer incentive arrangements require evidence of actual foreclosure, denied access, or competitive harm before infringing competition law.

Law of Competition

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 abuse of dominance requires material showing likely competitive harm; co-location allegations did not justify investigation.

Law of Competition

2026 (9) TMI 826

Supply of relied-upon documents and inspection opportunity satisfied natural justice, leaving provisional attachment confirmation unaffected.

Money Laundering

2026 (9) TMI 742

PMLA Bail Restrictions May Yield to Prolonged Custody and Serious Chronic Medical Conditions in Appropriate Cases

Money Laundering

2026 (9) TMI 741

Prior procedural reversal of freezing does not bar subsequent attachment of alleged crime proceeds pending money-laundering trial.

Money Laundering

2026 (9) TMI 740

Provisional attachment for layered share transactions remains justified where alleged bribe proceeds were projected as legitimate capital gains.

Money Laundering

2026 (9) TMI 558

Prolonged custody can justify bail despite PMLA twin conditions, with safeguards protecting trial and witnesses.

Money Laundering

2026 (9) TMI 557

Proceeds-of-crime nexus fails when the individual's predicate prosecution is wholly quashed for lack of investigative jurisdiction.

Money Laundering

2026 (9) TMI 895

Quarterly CENVAT refund limitation runs from quarter-end of FIRC receipt, preserving the filing period for exported services.

Service Tax

2026 (9) TMI 894

Naturally bundled electricity distribution excludes ancillary meter-testing and delayed-payment charges from service tax without a reciprocal tolerance agreement.

Service Tax

2026 (9) TMI 893

Late-payment damages for delayed industrial-gas payments are not consideration and therefore fall outside taxable declared services.

Service Tax

2026 (9) TMI 825

Development rights as immovable property exclude service tax, while related input credit remains recoverable within normal limitation.

Service Tax

2026 (9) TMI 824

CENVAT Credit Reversal under Rule 6 requires common credit, while disclosed reversals do not justify extended limitation.

Service Tax

2026 (9) TMI 823

Builder-buyer residential construction taxability was limited by statutory exclusions, valuation relief, and normal limitation rules.

Service Tax

2026 (9) TMI 892

Unjust enrichment limits service-tax refunds to amounts whose burden was not recovered from members, with statutory interest.

Central Excise

2026 (9) TMI 891

Cenvat credit nexus supports pre-production, off-site infrastructure and factory-use claims; extended limitation requires proven intent to evade duty.

Central Excise

2026 (9) TMI 834

Composite port-service classification tests whether warehousing and incidental activities may be separated for taxable-service treatment.

Central Excise

2026 (9) TMI 821

Extended excise limitation requires deliberate suppression, preventing time-barred demands and consequential penalties where statutory records were available.

Central Excise

2026 (9) TMI 820

Manufacture Requirement for Incidental Waste: Marketability and tariff listing alone cannot create central excise liability for sponge-iron residues.

Central Excise

2026 (9) TMI 819

Place-of-removal test governs post-depot service credit, while depot C&F services qualify as input services.

Central Excise

2026 (9) TMI 890

Priority of secured creditors under SARFAESI remains unresolved after a delayed challenge was dismissed without examining the legal issues.

VAT / Sales Tax

2026 (9) TMI 889

Revisional jurisdiction requires valid Commissioner authorisation; proceedings initiated without delegated power are void from inception.

VAT / Sales Tax

2026 (9) TMI 818

Substitution of an entry retaining IT Products left the camera tax concession challenge academic and eligibility undecided.

VAT / Sales Tax

2026 (9) TMI 817

Customer-Specific Software Services Remain Outside VAT Where No Marketable Goods or Property Rights Are Transferred

VAT / Sales Tax

2026 (9) TMI 735

Delay condonation requires a satisfactory explanation for prolonged inaction; inadequate medical grounds left the revision time-barred.

VAT / Sales Tax

2026 (9) TMI 734

Tax refund limitation does not bar assessment-stage correction of underclaimed deductions or exemptions, requiring refund of amounts lawfully due.

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 (4) TMI 1915

Territorial appellate jurisdiction invalidates orders by an unauthorised authority, requiring de novo merits adjudication before the competent appellate forum.

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 (11) TMI 2064

Territorial appellate jurisdiction invalidates orders issued by an appellate authority not assigned the assessee's regional charge.

Wealth-tax

2026 (9) TMI 888

Debts Recovery Tribunal remedy remains available where a diligent writ challenge was redirected despite ordinary limitation expiry.

Indian Laws

2026 (9) TMI 733

SEZ Fiscal Exemption Extends to Pre-Ordinance Lease Deeds Under an Existing State Investment Policy

Indian Laws

2026 (9) TMI 732

GST reimbursement for pre-GST contracts survives tax-inclusive tender clauses where later tax burdens are verified and comparable contractors receive relief.

Indian Laws

2026 (9) TMI 647

Stamp valuation enquiries may not require fraudulent intent, but binding precedent on wilful undervaluation awaits larger-Bench review.

Indian Laws

2026 (9) TMI 646

RBI supersession of multi-State co-operative bank boards may continue beyond elected tenure, subject to statutory aggregate limits.

Indian Laws

2026 (9) TMI 645

Repayment of released appeal deposits remains mandatory upon acquittal despite procedural irregularity in the refund direction.

Indian Laws


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