GST Judgements



The Hon'ble Madras High Court in ARS Steel & Alloy International Pvt. Ltd. v. the State Tax Officer [W.P. Nos. 2885,2888,2890,3930,3936 and 3933 of 2020 and WMP. Nos. 3341,3345,3336,4664,4656 and 4661 of 2020 and W.P. No. 2885 of 2021, dated June 24,

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M/s NARAYANAPPA RAMESH, No 308, N.R Oletty Nilaya, GF, 3rd Cross,3rd `A"Phase, UAS GKVK, Bengaluru 560064, (called as the 'applicant' hereinafter), having GSTIN number 29ABYPR9899R1ZG, have filed an application for Advance Ruling under Section 97 of

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M/s B.G Shirke Constructions Technology Private Limited, 3rd Floor, EL Air Drive 09, Bellary Road, Gangenahally, Bengaluru-560032 having GSTIN ber-29AAACB7293D 1ZM have filed an application for Advance Ruling.

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Sri Ramohalli Krishnrao Karthik of Magal Agencies, 33, Ground, BalajiKrupa, 4thCross, Krishnarajavanam, Mysuru, 570008, having GSTIN 29AFJPK2970B1ZH, have filed an application for Advance Ruling under Section 97 of CGST Act, 2017, read with Rule 104

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M/s. Aadhya Gold Private Limited (called as the 'Applicant' hereafter) No.37/38,1st Floor, SBI Colony, 80 Feet Road, 3rd Block, Koramangala, Bengaluru-560 034having GSTIN 29AAPCA3170M1Z5, have filed an application for Advance Ruling under Section 97

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M/s Airbus Group India Private Limited, (hereinafter referred to as 'the Applicant' or 'Airbus India' or 'the Company'), 4 & 4A, XYLEM, 4th Floor, Dyavasandra Industrial Area, Mahadevapura Post, Bengaluru - 560048, Karnataka having GSTIN 29AAGCA1513R

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The Hon’ble Tripura High Court in Shri Sentu Dey v. State of Tripura [Criminal Petition No. 14/2021 dated May 28, 2021] quashed the order passed for police investigation by the Judicial Magistrate in a matter of alleged GST offence. Held that, once t

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The Hon’ble Supreme Court of India in Union of India & Ors. v. M/s Vishnu Aroma Pouching Pvt. Ltd. & Anr. [Special Leave Petition(Civil) Diary No(s). 1434/2021 dated June 29, 2021] has imposed penalty of 25000/- INR on the Revenue Department for dela

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At the outset we would like to make it clear that the provisions of CGST, Act 2017, and SGST, Act 2017 are in parametria and have the same provisions in the like matter and differ from each other only o a few specific provisions. Therefore, unless a

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The Hon’ble AAR, Maharashtra in the matter of Dubai Chamber of Commerce and Industry ("DCCI")[GST-ARA-35-2019-20B dated May 24, 2021], has held that a liaison office of the DCCI to be an ‘intermediary’ which is providing services. Further held that,

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