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Mandatory Compliance of Complete E-Way Bill Under GST: A Judicial Reiteration by Allahabad High Court |
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Mandatory Compliance of Complete E-Way Bill Under GST: A Judicial Reiteration by Allahabad High Court |
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AbstractIn a significant ruling reinforcing strict compliance under the GST regime, the Allahabad High Court in M/s BM Computers v. Commissioner Commercial Taxes reaffirmed that carrying a complete e-way bill—with both Part A and Part B duly filled—is mandatory for the movement of goods. The judgment clarifies that failure to furnish a valid and complete e-way bill can attract presumptions of tax evasion under the Uttar Pradesh Goods and Services Tax Act, 2017, and Central Goods and Services Tax Act, 2017. Factual BackgroundM/s BM Computers, a GST-registered firm engaged in trading of computer and hardware materials, dispatched goods valued at ₹8.45 lakhs and ₹1.43 lakhs from Agra to Ghaziabad. The transportation was facilitated by M/s Shagun Logistics Cargo Services. However, upon interception by the Mobile Squad at 3:16 AM on 06.03.2023, it was found that:
The petitioner contested the imposition of penalty under Section 129(3) of the GST Acts and the subsequent dismissal of its appeal. It claimed the omission was a human error on the part of the transporter and not a deliberate act. Key Legal IssueWhether carrying a complete e-way bill (both Part A and B) is mandatory for transportation of goods under GST law, and whether non-compliance can be treated as an intention to evade tax? Court’s Observations and Reasoning
ConclusionThe Allahabad High Court decisively held that:
Thus, the writ petition was dismissed, and the penalty imposed by the department was upheld. Legal SignificanceThis judgment is a crucial addition to GST jurisprudence. It reiterates that:
Cited Precedents
Final WordIn light of this judgment, traders and transporters are advised to review and tighten their logistics compliance protocols, especially regarding the e-way bill system, to avoid future penal proceedings.
By: YAGAY andSUN - April 26, 2025
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