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Recent Case Laws

View All
2026 (9) TMI 172

Statutory GST Appeals Bar Writ Relief for Merits Disputes, While Consolidated Multi-Year Notices Remain Valid

GST

2026 (9) TMI 171

Fresh hearing in ex parte tax determination was required where pleaded facts remained undisputed and objections were unavailable.

GST

2026 (9) TMI 170

GST audit findings in ADT-02 cannot independently trigger recovery without further statutory proceedings and lawful action.

GST

2026 (9) TMI 169

Reasoned rejection of penalty-and-interest waiver applications is mandatory; non-speaking denials require reconsideration after a fair hearing.

GST

2026 (9) TMI 168

Personal hearing rights require communicated hearing details; written submissions alone cannot cure denial of natural justice.

GST

2026 (9) TMI 167

Statutory GST appellate remedy requires pursuing Section 107 appeal after making the stipulated pre-deposit within granted time.

GST

2026 (9) TMI 150

Recorded satisfaction in reassessment proceedings remains necessary before initiating penalties for prohibited cash loan or repayment transactions.

Income Tax

2026 (9) TMI 149

Transfer-pricing treatment of AMP expenditure remains open after delayed Special Leave Petitions were dismissed without substantive determination.

Income Tax

2026 (9) TMI 148

Software royalty under DTAA turns on copyright reproduction rights versus a limited licence to use shrink-wrapped software.

Income Tax

2026 (9) TMI 147

Reassessment jurisdiction fails when a Section 148A notice is issued to a deceased assessee despite registered legal heir details.

Income Tax

2026 (9) TMI 146

Penalty immunity for misreporting is unavailable despite notice sub-category omissions where the taxpayer knew the alleged basis.

Income Tax

2026 (9) TMI 145

Condonation for genuine hardship preserves charitable exemption where late audit reporting results from technical or inadvertent filing errors.

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 107

Food-safety clearance prevents customs reclassification and invalidates seizure and bank-guarantee conditions for imported food release.

Customs

2026 (9) TMI 106

Natural justice in revisional proceedings is satisfied where multiple notified hearing opportunities are provided and not availed.

Customs

2026 (9) TMI 105

Cross-examination in Customs Broker inquiries is mandatory when oral statements are relied upon, with fresh adjudication permitted.

Customs

2026 (9) TMI 104

National Litigation Policy exceptions do not compel merits litigation after Revenue accepts closure of its appeal.

Customs

2026 (9) TMI 103

Compensatory interest on investigation deposits runs from actual payment until refund when Revenue retains the amount.

Customs

2026 (9) TMI 102

Preferential tariff verification failures cannot alone defeat tariff benefits or support extended customs limitation period demands.

Customs

2026 (9) TMI 99

Limitation for Official Liquidator claims extends through Article 137 and statutory exclusion, preserving claims filed within the available period.

Companies Law

2026 (9) TMI 16

Summary resumption of disputed assigned land cannot override a court-supervised auction without adjudication of title and transfer claims.

Companies Law

2026 (9) TMI 15

Annual liquidation accounts require consolidated financial reporting; audited half-yearly accounts cannot replace the statutory annual filing obligation.

Companies Law

2026 (8) TMI 1806

Oppression and mismanagement: cumulative NBFC regulatory breaches and related-party impropriety can justify protective company-law relief.

Companies Law

2026 (8) TMI 1757

Territorial jurisdiction under Article 226(2) yielded to forum conveniens where the dispute's substantive connections lay elsewhere.

Companies Law

2026 (8) TMI 1710

Compliance with restoration directions cannot await a proposed review petition; company status must be restored pending any review order.

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 14

Disclosure in public interest litigation is mandatory; suppression of overlapping proceedings defeats equitable writ relief and warrants costs.

SEBI

2026 (8) TMI 1452

Pre-litigation mediation exemption applies where commercial suits genuinely require urgent disclosure and asset-protection interim relief for affected investors.

SEBI

2026 (8) TMI 1401

SEBI ODR arbitration requires participation after failed conciliation while preserving jurisdictional and maintainability objections for arbitral determination.

SEBI

2026 (8) TMI 1231

SCORES complaint appeals cannot secure civil monetary relief before the Tribunal; alternative legal remedies remain available to aggrieved parties.

SEBI

2026 (8) TMI 1147

RTI disclosure limits: public authorities need not obtain private-body information unavailable in their records solely to answer requests.

SEBI

2026 (9) TMI 97

Corporate insolvency moratorium leaves directors and authorised signatories exposed to cheque dishonour prosecution pending trial.

IBC

2026 (9) TMI 96

Resolution plan finality extinguishes unfiled electricity duty, cess and royalty claims, preventing continued statutory recovery demands.

IBC

2026 (9) TMI 13

Homebuyer intervention in liquidation is limited, while individual stakeholder-members may approach NCLT under amended creditor supervision provisions.

IBC

2026 (9) TMI 12

Premature auction-deposit forfeiture during an extended payment period requires refund where delayed payment with interest remains permitted.

IBC

2026 (8) TMI 1805

Operational debt status of consortium advances supports Section 9 admission where no genuine pre-existing dispute exists.

IBC

2026 (8) TMI 1756

Insolvency resolution plans do not waive GST liabilities arising after their implementation date, despite relief for earlier indirect-tax dues.

IBC

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 (8) TMI 106

Company officer liability for neglected export-proceeds compliance retained, while monetary penalty was reduced to the pre-deposit.

FEMA

2026 (7) TMI 1950

Current account treatment for definite tournament services removes most foreign-exchange contraventions, but excess remittance and delayed repatriation remain liable.

FEMA

2026 (7) TMI 1854

Statutory penalty ceilings preserve adjudicatory discretion; enhancement requires proof that the imposed penalty was improperly or disproportionately low.

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 95

Anticipatory bail under money-laundering law remains subject to the statutory twin conditions after proclamation proceedings.

Money Laundering

2026 (9) TMI 94

Substitution of attached property with fixed deposits remains discretionary, while effective statutory appeals generally preclude writ intervention.

Money Laundering

2026 (9) TMI 93

Equivalent-value property attachment permits seizure of pre-existing insurance assets where proceeds are untraceable or held by non-accused persons.

Money Laundering

2026 (9) TMI 92

Provisional attachment under PMLA may continue where company officials actively handled alleged proceeds of crime

Money Laundering

2026 (9) TMI 11

Provisional attachment of assets bought with layered diverted loan funds survives prior sales and mortgages.

Money Laundering

2026 (8) TMI 1755

Provisional attachment challenges under PMLA ordinarily require statutory adjudication before writ jurisdiction is invoked absent exceptional illegality.

Money Laundering

2026 (9) TMI 91

Composite mining activity cannot be split into cargo handling where incidental movement forms part of mineral extraction.

Service Tax

2026 (9) TMI 90

Excess service-tax adjustment may extend beyond the immediately succeeding period where later liabilities arise under Rule 6(4A).

Service Tax

2026 (9) TMI 89

CENVAT credit eligibility survives procedural reporting lapses, while third-party data alone cannot justify extended tax limitation.

Service Tax

2026 (9) TMI 88

Governmental Authority status governs construction-service exemption, while conditional relief requires verified contract and stamp-duty compliance.

Service Tax

2026 (9) TMI 87

Perpetual copyright assignment of self-produced programmes constitutes a sale of goods, excluding programme producer service tax.

Service Tax

2026 (9) TMI 10

Toleration of an act requires a contractual obligation and consideration; accounting write-backs alone cannot attract service tax.

Service Tax

2026 (9) TMI 86

Statutory appellate remedy remains available after an order-in-original issued during pending writ proceedings, preserving all merits grounds.

Central Excise

2026 (9) TMI 85

Cenvat credit survives unproven non-receipt allegations when transport records support delivery and statutory safeguards for statements remain unmet.

Central Excise

2026 (9) TMI 84

Marketable sugar syrup attracts excise duty despite captive use, while verified input credit remains available.

Central Excise

2026 (9) TMI 83

Excise assessment at factory removal prevents post-clearance pipeline use from changing PDS exemption treatment and liability.

Central Excise

2026 (9) TMI 82

Export refund claims retain original filing dates despite curable document delays; limitation cannot exceed notice or remand scope.

Central Excise

2026 (9) TMI 79

Post-GST tobacco excise and NCCD challenges remain governed by final precedents, with unrelated assessment grounds reserved for statutory appeal.

Central Excise

2026 (9) TMI 3

High Court judgment in VAT dispute remains undisturbed after special leave petition is dismissed without interference.

VAT / Sales Tax

2026 (9) TMI 2

Statutory pre-deposit deadlines remain binding when delayed compliance would override conditional restoration of an appeal.

VAT / Sales Tax

2026 (8) TMI 1589

Compound rubber as a finished product remains eligible for sales-tax exemption despite exclusion of chemical treatment of raw rubber.

VAT / Sales Tax

2026 (8) TMI 1500

Return of deposited interest required after review dismissal, with the State directed to refund the amount within eight weeks.

VAT / Sales Tax

2026 (8) TMI 1301

Fresh assessment appeals require separate Legal Benefit Fund court fees after remand, without adjustment of earlier appeal fees.

VAT / Sales Tax

2026 (8) TMI 1300

Post-inspection revised returns may mitigate additions but cannot negate materially established purchase, sales, and turnover suppression.

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 (9) TMI 81

Delayed Foreign Travel Tax payments before notice do not constitute non-payment, and appellate review cannot worsen penalties.

Indian Laws

2026 (9) TMI 80

Unauthorised occupation standards protect statutory auction purchasers from summary eviction over unresolved lease transfers and disputed prior dues.

Indian Laws

2026 (9) TMI 1

Vicarious liability for cheque dishonour requires specific allegations of business control, consent, connivance, or neglect; directorship alone is insufficient.

Indian Laws

2026 (8) TMI 1698

Vicarious liability for cheque dishonour requires specific allegations of a director's business control and responsibility at the relevant time.

Indian Laws

2026 (8) TMI 1588

Cheque presumptions support friendly-loan recovery where execution is admitted and rebuttal evidence, notice, jurisdiction and interest challenges fail.

Indian Laws

2026 (8) TMI 1450

Service-rule amendment power includes rescission, while non-tabling without prescribed consequences does not invalidate an otherwise valid promotion-rule change.

Indian Laws





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