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2024 (7) TMI 528 - HC - GST


Issues:
Challenge to cancellation of GST registration based on inadequate show cause notice.

Analysis:
The petitioner, a registered entity under the Central Goods and Services Tax Act, filed a petition seeking to quash a Show Cause Notice (SCN) dated 02.05.2023 and subsequent Order of Cancellation of Registration dated 08.08.2023. The SCN alleged that the registration was obtained through fraud, wilful misstatement, or suppression of facts but failed to provide specific details. The court noted that the SCN did not meet the necessary standards as it did not clearly specify the reasons for proposing the cancellation. The purpose of a show cause notice is to allow the noticee to respond to the allegations, which was not possible in this case due to lack of clarity in the notice.

The Order of Cancellation of Registration dated 08.08.2023 also lacked reasoning and merely referred to the inadequate SCN. The court found that the cancellation order did not provide any intelligible reason for the cancellation of GST registration. Consequently, the court allowed the petition, setting aside the impugned SCN and the order cancelling the petitioner's GST registration. The court directed the restoration of the petitioner's GST registration and declared the application for revocation of the order as infructuous.

The court clarified that its order did not prevent the respondent from issuing a fresh show cause notice with clear reasons if desired. All rights and contentions of the parties were reserved, and the petition was disposed of solely on the basis of the inadequacy of the original SCN. Additionally, pending applications were also disposed of as part of the judgment.

 

 

 

 

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