The Supreme Court has ruled that ink, chemicals, and other materials used in printing lottery tickets are taxable under Section 3F(1)(b) of the UP Trade Tax Act, affirming their transfer as “goods” in a works contract.
The Supreme Court has ruled that ink, chemicals, and other materials used in printing lottery tickets are taxable under Section 3F(1)(b) of the UP Trade Tax Act, affirming their transfer as “goods” in a works contract.