Facts of the
CaseThe petitioner, A.J. Augustine, aged 85
years and proprietor of Kerala Trading Company, Nedumkandam, approached the
Kerala High Court by filing three connected Original Petitions under Article
227 of...
Facts of the
CaseThe State of Karnataka, through its Principal
Secretary, Finance Department, along with the Joint Commissioner of Commercial
Taxes, LGSTO-100 and the Commissioner of Commercial Taxes, preferred a writ...
Facts of the CaseThe petitioner was the District Roads and Buildings
Officer/Executive Officer of the Roads and Buildings Department,
Medchal-Malkajgiri Division, State of Telangana. The petitioner approached the
High...
Facts of the
CaseThe dispute arose from the issue of permitting the
filing of TRAN-1 forms for claiming or transitioning eligible tax credit
under the GST regime. The State of Karnataka and its tax authorities preferr...
Facts of the
CaseM/s. Simon India Ltd. was the petitioner before the
High Court of Orissa at Cuttack in W.P.(C) No. 26443 of 2022 against the CT
& GST Officer, Cuttack II Circle and another. The order under consid...
Facts of the
CaseThe petitioner, A.J. Augustine, aged 85 years and
proprietor of Kerala Trading Company, Nedumkandam, approached the Kerala High
Court by filing three Original Petitions under Article 227 of the Consti...
Facts of the CaseThe Commissioner of Central GST & Central Excise, Jammu
filed CEA No. 225/2022 against M/s Casil Industries Ltd. before the High Court
of Jammu & Kashmir and Ladakh at Jammu.The High Court reco...
Facts of the
CaseThe Commissioner of CGST & Central Excise
(J&K), Jammu filed an appeal under Section 35G of the Central Excise
Act, 1944 challenging an order of the Customs, Excise and Service Tax
Appellate ...
Facts of the CaseThe
petitioner, Rajath R, proprietor of R.R. Enterprises, claimed to be a
registered firm engaged in the supply of food articles. The petitioner had been
supplying readymade food and diet to the Distr...
Facts of the
CaseHirise Builders and Developers had suffered orders
imposing penalty for the assessment years 2009-10 and 2010-11 under the Kerala
Value Added Tax Act. The petitioner’s case was that there had been n...