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2025 (2) TMI 943 - HC - VAT / Sales Tax


The High Court considered writ appeals arising from a common order dated 05.11.2019 in WP(C) No. 6363/2014 and WP(C) No.6364/2014, along with orders dated 25.01.2021 in I.A. (Civil) No. 956/2020 and I.A. (Civil) No.1262/2020. The appellants challenged search and seizure proceedings conducted by Taxation Authorities under Sections 74 (3) and 74(4) of the Assam Value Added Tax Act, 2003, alleging a lack of due process. The respondent State contended that the procedures were duly followed.The learned Single Judge considered the Code of Criminal Procedure, 1973, Sections 46, 47, 51, and 100, noting the absence of detailed search and seizure procedures in the Assam Value Added Tax Act, 2003. The Judge observed that the search and seizure proceedings should adhere to the CrPC provisions. Despite not interfering with the past proceedings due to elapsed time, the appellants were granted liberty to seek redress if a cause of action persisted.Subsequently, the appellants filed I.A. (Civil) No. 956/2020 and I.A. (Civil) No.1262/2020 seeking to declare the search and seizure as illegal and challenge related assessment orders and demand notices. The Court, in its orders dated 25.01.2021, emphasized that the appropriate forum should be approached for challenging the demand notices issued post the writ petitions' disposal.The Court dismissed the appeals, noting that the Single Judge had allowed the appellants to contest the assessment orders and demand notices separately, precluding the need for further orders.In summary, the issues considered included the legality of search and seizure proceedings, compliance with procedural requirements, the validity of assessment orders and demand notices, and the appropriate forum for challenging subsequent actions. The Court's decisions were based on the absence of specific search and seizure provisions in the tax act, adherence to CrPC guidelines, and the need for separate challenges to post-petition actions.

 

 

 

 

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