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2024 (11) TMI 257 - HC - GSTRectification of apparent mistake underlying the passing of the impugned order - tax period of July 2018 to March 2019 - HELD THAT - It is informed that the writ petitioner has preferred an appeal against the order of 01 February 2021. In view of the aforesaid and admitted facts which emerge, it is apparent that the impugned order of 23 April 2024 would not sustain - petition allowed.
The High Court quashed the order dated 23 April 2024 as it pertained to the same tax period for which a final order was already passed on 01 February 2021. The writ petition was allowed on this ground, and all rights and contentions regarding the order of 01 February 2021 were kept open.
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