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Nov 01 2017

Top Forty Suspension Pvt. Ltd. Vs.top Auto Pvt. Ltd.

Court: Delhi

Decided on: Nov-01-2017

THE HIGH COURT OF DELHI AT NEW DELHI % + CS(OS) 114/2014 Date of decision:01. 11.2017 TOP FORTY SUSPENSION PVT. LTD. Through Mr. Amit Sanduja, Advocate ..... Plaintiff versus TOP AUTO PVT. LTD. Through None. ..... Defendant


Oct 16 1989

Lamina Suspension Products (P.) Limited Vs. State of Andhra Pradesh an ...

Court: Andhra Pradesh

Decided on: Oct-16-1989

Reported in: [1991]187ITR105(AP); [1990]78STC429(AP); [1991]56TAXMAN7(AP)

Jayachandra Reddy, J.1. The scope of section 16(3) of the Andhra Pradesh General Sales Tax Act, 1957, hereinafter referred to as 'the Act', falls for consideration in these writ petitions. The question is 'whether the assessee...


Oct 25 1993

Lamina Suspension Products (P) Ltd. Vs. State of Kerala

Court: Kerala

Decided on: Oct-25-1993

Reported in: [1994]95STC459(Ker)

K.S. Paripoornan, J.1. The common petitioner in both the revisions is an assessee under the Kerala General Sales Tax Act. It is a private limited company. We are concerned with the assessment years 1987-88 and 1988-89....


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Jan 12 2010

Kobe Suspension Co. Pvt. Ltd. Vs. Commissioner of Central Excise Delhi ...

Court: Customs Excise and Service Tax Appellate Tribunal CESTAT Delhi

Decided on: Jan-12-2010

penalty of Rs.5,000/-. 2. Learned Advocate submits that there was proceedings relating to alleged clandestine removal of Kobe Suspension Co. Pvt. Ltd. and others which included the quantities seized from Kripal Motors and Hemkund Motors. Though the


Mar 15 1994

Unique Suspension (P) Ltd. Vs. Collector of Central Excise

Court: Customs Excise and Service Tax Appellate Tribunal CESTAT Mumbai

Decided on: Mar-15-1994

Reported in: (1994)(74)ELT739Tri(Mum.)bai

1. Though this day only stay application was listed for hearing, after hearing Shri Parakh and on the nature of prayer made, we have decided to take up the appeal itself for disposal.2. The appeal is...


May 05 1989

Lamina Suspension Products (P.) Vs. Income-tax Officer.

Court: Income Tax Appellate Tribunal ITAT

Decided on: May-05-1989

Reported in: (1989)30ITD505(Bang.)

Per Shri A. V. Balasubramanyam, JM - These appeals are directed against the consolidated order passed by the Commissioner of Income-tax, under section 263, Income-tax Act, in respect of assessments passed for 1980-81 and 1981-82.2. The...


Jan 03 2002

Employees' State Insurance Corporation, Bangalore Vs. Lamina Suspensio ...

Court: Karnataka

Decided on: Jan-03-2002

Reported in: [2002(93)FLR381]; ILR2002KAR1220; 2002(2)KarLJ123

Rs. 13,098.90.2. The brief facts are as follows:The ESI Corporation by its letter dated 15-10-1982 demanded M/s. Lamina Suspension Products Private Limited to pay contribution of Rs. 20,891.39 for the period May 1981 to July 1982 towards


Nov 22 1999

State of Andhra Pradesh Vs. Lamina Suspension Products Pvt. Ltd.

Court: Andhra Pradesh

Decided on: Nov-22-1999

Reported in: [2000]119STC344(AP)

ORDERVenkatarama Reddi, J.1. The Tribunal quashed the revisional order of the Joint Commissioner, C.T. (Legal) on the ground that on active application of mind to the facts of the case, the said authority decided not to...


Jul 02 2003

Commissioner of Central Excise Vs. Madras Suspensions Ltd.

Court: Customs Excise and Service Tax Appellate Tribunal CESTAT Tamil Nadu

Decided on: Jul-02-2003

Reported in: (2003)(156)ELT807Tri(Chennai)

submissions made in the appeal. I take both the appeals together for passing a common order. M/s. Madras Suspension Ltd. is manufacturing leaves and assembly falling under chapter Heading 7320 of the GET A, 85. The company


Mar 21 2024

T.N.Lalitha vs T.a.Rajani, Headmistress (Under Suspension)

Court: Kerala

Decided on: Mar-21-2024

1ST CHAITHRA, 1946 PETITIONER: T.N.LALITHA MANAGER, ADVUP SCHOOL, PERINGANDOOR, THRISSUR DISTRICT. SRI.N.N.SUGUNAPALAN (SR.) SRI.S.SUJIN RESPONDENT:1 T.A.RAJANI, HEADMISTRESS (UNDER SUSPENSION) ADVUP SCHOOL, PRIGANDOOR, THRISSUR DISTRICT, RESIDING AT CHELLARI HOUSE, P.O MEDICAL COLLEGE, ELAPPAYA, THRISSUR - 680 596. 2


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