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Bench: Us. 2. Very Briefly Put, The Question Which We Are Called Upon To Consider & Resolve Is As To Whether Interest Is Payable On The Differential Excise Duty With Retrospective Effect That Become Payable On The Basis Of Escalation Clause Under Section 11Ab Of The Central Excise Act, 1944 (Hereinafter Referred To As “The Act”). 3. In This Batch Of Appeals, We Will Treat C.A. No.2150/2012 As The Leading Case. We Will Refer To The Said Case As The Sail Case. In The Said Case Originally, The Appellant Company Which Is Manufacturer Of Various Products Including Rail
C) in any other case, the date on which the duty is to be paid under this Act or the rules made thereunder;]” 13. Section 11AB is undoubtedly the most crucial Section as far as this case is concerned. Section 11AB read as follows: “11AB. Interest on delayed payment of duty,– (1) Where any duty of excise has not been