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Classification of Services cannot be the subject matter of writ petition |
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Classification of Services cannot be the subject matter of writ petition |
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The Hon’ble Madras High Court in the case of M/S. KPR CONCRETE READYMIX REPRESENTED BY ITS MANAGING PARTNER SHRI V. SELVARAJU VERSUS THE STATE TAX OFFICER, INTELLIGENCE SALEM [2024 (1) TMI 621 - MADRAS HIGH COURT] held that the dispute revolves around the classification of services, which does not fall within the limited category of cases in which a Show Cause Notice may be assailed in proceeding under Article 226 of the Constitution of India. Therefore, the Court decided not to interfere with the Impugned Notice. Facts: KPR Concrete Readymix (“the Petitioner”) is engaged in providing transportation services to customers. The Petitioner classified its services under the Service Accounting Code (“SAC”) 996511 and paid a GST rate of 12% on such services. The State Tax Officer (“the Respondent”) issued a notice in FORM DRC-01A, alleging short payment of tax on the services provided by the Petitioner should be classified under SAC 996601, which attracts a GST rate of 18%. The Petitioner contended that its services are classifiable under SAC 996511 and provided relevant documents and consignment notes. The Respondent did not consider the reply of the Petitioner and issued a notice in FORM DRC-01 (“the Impugned Notice”). Hence, aggrieved by the Impugned Notice the present writ petition was filed by the Petitioner. Issue: Whether dispute revolving around the classification of services provided by the Assessee can be the subject matter of the writ petition? Held: The Madras High Court in M/S. KPR CONCRETE READYMIX REPRESENTED BY ITS MANAGING PARTNER SHRI V. SELVARAJU VERSUS THE STATE TAX OFFICER, INTELLIGENCE SALEM [2024 (1) TMI 621 - MADRAS HIGH COURT] held as under:
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By: CA Bimal Jain - February 2, 2024
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