The
petitioners, Sanchita Kundu & Another, approached the Calcutta High
Court by filing writ petitions challenging the action of the GST authorities
whereby the benefit of Input Tax Credit (ITC) was denied through...
The
applicant, M/s. Paragon Polymer Products Pvt. Ltd., engaged in the
manufacture and trading of footwear, sought an advance ruling on whether Input
Tax Credit (ITC) would be admissible in cases involving sale and bu...
In M/s
Janta Machine Tools v. State of Uttar Pradesh & Others, the Allahabad
High Court examined the legality of confiscation and penalty proceedings
initiated under Section 130 of the GST Act solely on the basis ...
The
petitioner, M/s Himalaya Communication Pvt. Ltd., approached the
Himachal Pradesh High Court by way of a writ petition seeking quashing of
orders passed by the departmental authorities denying Input Tax Credit (IT...
The
petitioner, M/s Gargo Traders, a registered taxable person under the GST
regime, challenged the order dated 13 April 2022 passed by the Joint
Commissioner, State Tax, West Bengal, whereby the appeal preferred by t...
In the
matter of M/S Balaji Industries (Vipin Kumar) vs. The Principal Commissioner
CGST Delhi North Commissionerate & Anr., the petitioner challenged the
retrospective cancellation of its GST registration by the ...
The Rajasthan High Court, Jaipur Bench, in Modern
Insulators Ltd. v. —, considered an application seeking appropriate
directions in respect of a company petition that was pending before the High
Court under the prov...
In M/s
Milroc Good Earth Developers v. Union of India & Others, the Bombay
High Court at Goa considered a significant jurisdictional issue under the CGST
Act, 2017—whether tax authorities are legally permitted t...
The Karnataka High Court, in M/s Pramur
Homes and Shelters v. Union of India & Ors., examined the legality of a
composite show cause notice dated 30 September 2025 issued under Section 74 of
the Central and Karnat...
The Allahabad High Court, in M/s R.T.
Infotech v. Additional Commissioner Grade-II & Ors., examined the
legality of reversal of input tax credit and imposition of tax, interest, and
penalty under Section 73 of the...