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2021 (2) TMI 1115 - HC - VAT / Sales Tax


Issues Involved:
1. Refusal to transfer property by District Industries Center (DIC) without clearing sales tax dues.
2. Issuance of No Objection Certificate (NOC) and fresh sale certificate by the bank.
3. Priority of secured creditors' rights under Section 26-E of the SARFAESI Act over sales tax dues.
4. Obligation of the auction purchaser regarding undisclosed statutory dues.
5. Legal implications of purchasing property on "as is where is" basis.

Detailed Analysis:

Issue 1: Refusal to Transfer Property by DIC Without Clearing Sales Tax Dues
The petitioner challenged the refusal by the District Industries Center (DIC) to transfer the property in its records without clearing the sales tax dues of M/s. Wood Stock Holdings. The DIC required a No Objection Certificate (NOC) from the Sales Tax Department due to arrears of ?7,17,130/- for the period from 1/4/2010 to 31/3/2011.

Issue 2: Issuance of NOC and Fresh Sale Certificate by the Bank
The petitioner sought relief against the bank to issue an NOC and a fresh sale certificate free from all encumbrances. The bank had issued a sale certificate on 29/3/2017 but did not disclose any encumbrances. The petitioner contended that the property should be free from any charge due to the provisions of Section 26-E of the SARFAESI Act.

Issue 3: Priority of Secured Creditors' Rights Under Section 26-E of the SARFAESI Act
The court examined whether the secured creditors' rights under Section 26-E of the SARFAESI Act had priority over the sales tax dues. The court referred to several judgments, including the Full Bench of the Madras High Court in The Assistant Commissioner (CT) Vs. The Indian Overseas Bank, which held that secured creditors' rights have priority over all other debts, including government dues.

Issue 4: Obligation of the Auction Purchaser Regarding Undisclosed Statutory Dues
The petitioner argued that they were not liable for the sales tax dues as they had no notice of any charge. The court noted that under Section 100 of the Transfer of Property Act, a charge must be disclosed to the transferee. The bank contended that it was unaware of the sales tax dues. However, the court held that the statutory charge created by Section 37(1) of the MVAT Act, 2002, is enforceable against the property, and the auction purchaser is presumed to have notice of such statutory charges.

Issue 5: Legal Implications of Purchasing Property on "As Is Where Is" Basis
The court considered the implications of purchasing property on an "as is where is" basis. The sale certificate issued to the petitioner contained endorsements stating that the property was sold without freeing from encumbrances. The court held that purchasing property on such a basis means acquiring it with all its liabilities. The petitioner could not claim ignorance of statutory dues and was responsible for clearing them to obtain a clear title.

Conclusion:
The court dismissed the petition, holding that the petitioner must pay the sales tax dues to obtain a clear title to the property. The court emphasized the need for secured creditors to make reasonable inquiries about encumbrances and disclose them in the auction notice. The judgment underscores the priority of secured creditors' rights under Section 26-E of the SARFAESI Act but also highlights the auction purchaser's obligations regarding statutory dues.

 

 

 

 

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