Role of case laws and legality of taxation in the context of tax on services in India
by J.M. Kennedy; C. Rabbiraj
International Journal of Intellectual Property Management (IJIPM), Vol. 13, No. 3/4, 2023

Abstract: Constitution is the fountainhead and basis of all laws. Article 265 of India's Constitution states, "No tax will be levied or collected except by legislation". The statute must use the constitution's legislative powers and be compatible with its provisions to charge and collect taxes. In India, taxing services was prohibited by the constitution. First, integrated tax is applied to the registered person's credit/debit ledger. Any residual sum goes to core tax, state tax, and union territory tax. First, increase central tax. Any remaining sum goes to state or territory tax. As the tax base grew by adding taxable services each year, the courts had to rule on their constitutionality. The authors show how the judiciary legalised the tax on services from 1994 to 2017. Using aspect theory, the courts justified the apparent overlap between taxation entries in list I - union list and list II - state list of the Constitution of India, leading to a distinct tax base for taxing services and examining aspect theory's role in generating taxable services.

Online publication date: Tue, 10-Oct-2023

The full text of this article is only available to individual subscribers or to users at subscribing institutions.

 
Existing subscribers:
Go to Inderscience Online Journals to access the Full Text of this article.

Pay per view:
If you are not a subscriber and you just want to read the full contents of this article, buy online access here.

Complimentary Subscribers, Editors or Members of the Editorial Board of the International Journal of Intellectual Property Management (IJIPM):
Login with your Inderscience username and password:

    Username:        Password:         

Forgotten your password?


Want to subscribe?
A subscription gives you complete access to all articles in the current issue, as well as to all articles in the previous three years (where applicable). See our Orders page to subscribe.

If you still need assistance, please email subs@inderscience.com