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2009 (6) TMI 921

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..... Taxes ORDER (Made by F. M. Ibrahim Kalifulla,J.) This tax case revision has been preferred by the assessee, which pertains to the assessment year 1990-91 under the TNGST Act. The assessee is stated to have purchased cashew nuts from one M/s.Century Cashew Products. The Assessing Authority held that the said purchase made by the petitioner was imported nuts from foreign countries by the .....

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..... evision, viz., (i) the statements contained in the petitioner's reply to the pre-assessment notice and (ii) the various invoices covering the purchase of cashew nuts made by the petitioner from viz., M/s.Century Cashew Products. It is true that in the reply to the pre-assessment notice, the petitioner made a statement that it purchased raw cashew from viz., M/s.Century Cashew Products from out .....

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..... the local market. In the pre-revision notice, there is a specific reference to 7 invoices produced by the petitioner at the time of original assessment. 3. In the above said background, the question that arises for consideration is as to when there is a specific reference made in various invoices stating that the cashews sold were procured from the local market viz., Rajamundry and that such sa .....

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..... ith reference to the payment of tax and origin of purchase, it is appropriate that the original Assessing Authority while seeking to revise the original order, apply his mind with reference to the documents placed by the petitioner before it, vis-a-vis the statements contained in his reply, before fastening any liability of tax on the petitioner. Such an exercise would enable the Assessing Authori .....

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