entry culminating complete exemption from payment of
duties was not intended to IGST exemption and he ought to have paid
IGST on the imported goods ... Again statement of both the persons were recorded on 08.08.2017. On
28.08.2017 IGST including interest amounting to Rs. 6,57,58,940/- was
paid
Frying Pan (bowl shape - Rs. 200
Pizza Pan - Rs. 250 (with IGST extra)
After purchasing the product from the appellant, the goods were
packed
88400/2018
intended to be imported by them is nil; that only
IGST is payable for which credit can be obtained at
the time
Duty Free Shop, therefore the levy Customs duty
and of the IGST do not arise. The relevant paragraphs of the
aforesaid decision are as under
Duty Free Shop, therefore the levy Customs duty
and of the IGST do not arise. The relevant paragraphs of the
aforesaid decision are as under
Duty Free Shop, therefore the levy Customs duty
and of the IGST do not arise. The relevant paragraphs of the
aforesaid decision are as under
Duty Free Shop, therefore the levy Customs duty
and of the IGST do not arise. The relevant paragraphs of the
aforesaid decision are as under
rate of 15%,
Social Welfare Surcharge at the rate of 10% and IGST at the rate of
5%. Acting on the intelligence the customs officer ... rate of 70%, SWS at the rate of 10% and
IGST at the rate of 5%. The goods were examined by the Custom
Officer