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2024 (2) TMI 1210 - HC - GST


Issues involved:
The cancellation of GST registration retrospectively without specifying reasons and providing opportunity to respond.

Judgment Details:

Cancellation of GST Registration:
The petitioner challenged the retrospective cancellation of their GST registration, which was ordered without providing specific reasons or opportunity to respond. The impugned show cause notice lacked clarity, merely mentioning a letter regarding wrongful Input Tax Credit (ITC) without detailing the alleged discrepancies. The subsequent order of cancellation failed to provide adequate reasoning, leading to confusion as it referenced a reply from the petitioner while claiming no response was received. The cancellation was dated back to 2017, raising concerns about procedural fairness and due process.

Procedural Deficiencies:
The Court noted several procedural irregularities in the case. The show cause notice did not inform the petitioner about the retrospective cancellation possibility, depriving them of the chance to contest this aspect. Moreover, the notice inaccurately scheduled a personal hearing without specifying the date and time, further complicating the petitioner's ability to respond effectively. The lack of detailed information in both the notice and the cancellation order rendered them unsustainable in the eyes of the law.

Legal Framework and Objective Criteria:
The judgment emphasized the importance of adhering to Section 29(2) of the Central Goods and Services Tax Act, 2017, which allows for registration cancellation under specific circumstances. It highlighted that such cancellations should not be mechanical but based on objective criteria, ensuring fairness and transparency. Mere non-filing of returns should not warrant retrospective cancellation, especially if the taxpayer was otherwise compliant during the period in question.

Restoration of Registration:
Ultimately, the Court allowed the petition, setting aside the show cause notice and cancellation order. The petitioner's GST registration was reinstated, with a directive to comply with relevant tax rules. While the respondents were granted the liberty to pursue lawful actions for tax recovery, the judgment underscored the necessity of providing clear reasons and following due process in matters of registration cancellation.

Conclusion:
In conclusion, the judgment highlighted the significance of procedural fairness, objective criteria, and detailed reasoning in decisions related to GST registration cancellations. By overturning the retrospective cancellation and restoring the petitioner's registration, the Court affirmed the importance of upholding legal principles and safeguarding taxpayers' rights in such matters.

 

 

 

 

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