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GST NOTICE VALIDITY- ERRONEOUS REFUND - Goods and Services Tax - GSTExtract A company received a notice in November 2024 under Section 73(1) for an erroneous refund issued for the period January to March 2020. Can the department consider the refund period as part of FY 2019-20 and apply the extended time limit of November 30, 2024, even though the original deadline (of 3 years from the refund received date) is already elapsed? Can the validity of the notice be questioned?
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