respectively, by producing supporting evidence of purchase invoices. But the Assessing Authority disallowed the claim on finding that, the 'civil structure' and 'immovables' are exempted from the definition of 'capital goods', defined under Section 2 (x), by virtue of SRO 324/2005, which contains a negative list of capital goods. The Assessing Authority also found that, the purchases are relating to 'steel and cement', which are 'building materials' specifically included in the negative list. The assessee took up the matter in appeal before the Deputy Commissioner (Appeals), Commercial Taxes, Ernakulam. Out of the 9 items of capital goods with respect to which input tax credit was claimed, the first appellate authority had allowed credit with respect to two items. With respect to the remaining 7 items it was found that, those are building materials, factories, civil structures and immovable goods coming within the negative list in SRO 324/2005. Hence the claim for input tax credit was declined with respect to those items.