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2025 (1) TMI 1016 - HC - GST
Constitutional validity of Circular No.94/13/2019-GST dated 28.03.2019 - denial of refund of the accumulated input tax credit on account of inverted rate of duty structure - HELD THAT - The necessity for quashing the circular at the behest of the petitioner in the given facts and circumstances may not be necessary as the petitioner claims that the petitioner had excess Input Tax Credit all along and there was no occasion to wrongly utilize the Input Tax Credit which was to lapse on 31.03.2017. The law on the Input Tax Credit has long settled by the Hon ble Supreme Court in The Collector of Central Excise Pune Others Vs. Daichi Karkaria Ltd. Ors. 1999 (8) TMI 920 - SUPREME COURT wherein it has been held that There is no provision in the Rules which provides for a reversal of the credit by the excise authorities except where it has been illegally or irregularly taken in which event it stands cancelled or if utilised has to be paid for. We are here really concerned with credit that has been validly taken and its benefit is available to the manufacturer without any limitation in time or otherwise unless the manufacturer itself chooses not to use the raw material in its excisable product. The credit is therefore indefeasible. Perforce the petitioner as was required to reverse Input Tax Credit lying unutilized Input Tax Credit for payment of tax for the period after the Month of July 2018. As such credit was to lapse with effect from 01.08.2018. The petitioner reversed Input Tax Credit on 19.03.2019 for a sum of Rs. 6, 68, 66, 289/- on 19.03.2019 which is not in dispute. There is also no dispute the aforesaid credit amount was also not utilized by the petitioner after 01.08.2018. Since the petitioner had no occasion to utilize the accumulated credit after the cut off date towards the tax liability incurred the question of imposing interest under Section 50 (3) in terms of above said circular cannot be justified. Conclusion - Validly availed ITC is indefeasible unless utilized improperly. The imposition of interest requires actual utilization of the credit. Petition allowed.
1. ISSUES PRESENTED and CONSIDERED
The core legal questions considered in this judgment are:
- Whether the impugned order dated 20.08.2020 and the Circular No.94/13/2019-GST dated 28.03.2019 are ultra vires the provisions of the CGST Act, 2017 and the rules made thereunder.
- Whether the petitioner is entitled to a refund of the accumulated Input Tax Credit (ITC) under the inverted duty structure, and if so, whether the interest levied on the delayed reversal of ITC is justified.
- Whether the GST Appellate Tribunal's absence affects the petitioner's ability to challenge the vires of the circular before the High Court.
2. ISSUE-WISE DETAILED ANALYSIS
Issue 1: Ultra Vires of the Impugned Order and Circular
- Relevant Legal Framework and Precedents: The petitioner challenges the legality of the impugned order and Circular No.94/13/2019-GST under the CGST Act, 2017. The relevant provisions include Section 54(3) regarding refunds and Section 168(1) concerning the issuance of circulars.
- Court's Interpretation and Reasoning: The court examined whether the circular was consistent with the statutory provisions and whether it exceeded the powers conferred by the CGST Act.
- Key Evidence and Findings: The court noted that the circular aimed to clarify issues related to refunds and was issued under the authority granted by Section 168(1).
- Application of Law to Facts: The court determined that the circular was in line with the statutory framework and did not exceed the powers of the Central Board of Indirect Taxes and Customs.
- Treatment of Competing Arguments: The petitioner argued that the circular was inconsistent with the CGST Act, while the respondents maintained its validity and necessity for uniform implementation.
- Conclusions: The court concluded that the circular was not ultra vires and did not require quashing.
Issue 2: Entitlement to Refund and Justification of Interest
- Relevant Legal Framework and Precedents: The case revolves around Section 54(3) of the CGST Act, 2017, which deals with refunds of unutilized ITC, and Section 50(3) concerning interest on delayed reversals.
- Court's Interpretation and Reasoning: The court analyzed whether the petitioner had utilized the ITC and whether the interest levied was justified given the circumstances.
- Key Evidence and Findings: The petitioner demonstrated that the ITC remained unutilized, and the court referenced the Supreme Court's decision in The Collector of Central Excise, Pune & Others vs. Daichi Karkaria Ltd., which held that validly taken credit is indefeasible.
- Application of Law to Facts: The court found that the petitioner had not utilized the ITC post the specified cut-off date, and thus, the imposition of interest was unjustified.
- Treatment of Competing Arguments: The petitioner argued against the imposition of interest, while the respondents justified it based on the circular's provisions.
- Conclusions: The court set aside the interest levied and remitted the case for reconsideration.
Issue 3: Absence of GST Appellate Tribunal
- Relevant Legal Framework and Precedents: Section 112 of the CGST Act, 2017, provides for appeals to the GST Appellate Tribunal.
- Court's Interpretation and Reasoning: The court acknowledged the absence of the tribunal and its inability to address the vires of the circular.
- Key Evidence and Findings: The tribunal had not been notified or constituted at the time of the petition.
- Application of Law to Facts: The court decided to hear the writ petition due to the tribunal's absence and the nature of the challenge.
- Treatment of Competing Arguments: The respondents did not contest the court's jurisdiction to hear the matter.
- Conclusions: The court proceeded with the writ petition, bypassing the need for tribunal adjudication.
3. SIGNIFICANT HOLDINGS
- Preserve Verbatim Quotes of Crucial Legal Reasoning: "The credit that was validly availed by the petitioner was accumulated by the petitioner. However, it remained unutilized."
- Core Principles Established: Validly availed ITC is indefeasible unless utilized improperly. The imposition of interest requires actual utilization of the credit.
- Final Determinations on Each Issue: The circular was deemed valid; the interest levied was unjustified and set aside; the case was remitted for reconsideration by the appropriate authority.
The judgment underscores the importance of adhering to statutory provisions while issuing circulars and highlights the necessity for proper utilization of ITC to justify interest imposition. The court's decision to hear the writ petition in light of the tribunal's absence reflects its commitment to ensuring justice without procedural delays.