Delhi HC directs re-adjudication for Two separate SCN for same tax period

Dinesh Kumar Varma Vs Sales Tax Officer

The petitioner contested an order issued under Section 73 of the Central Goods and Services Tax Act, 2017, objecting that they were unaware of a prior show cause notice, and that another notice for the same tax period had been adjudicated upon without their knowledge. The Delhi High Court examined both orders and noted that they pertained to the same tax period and raised identical demands, issued by two different officers of the same jurisdictional office. In light of this, the court set aside both orders and directed that the proceedings on both show cause notices be combined and re-adjudicated by a single proper officer. The petitioner was given 30 days to respond to both notices, and the proper officer was instructed to adjudicate within the prescribed period. The court clarified that it hadn’t assessed the merits of either party’s arguments, preserving all rights and contentions for future consideration.

FULL TEXT OF THE JUDGMENT/ORDER OF DELHI HIGH COURT

1. Petitioner impugns order dated 25.12.2023 passed under Section 73 of the Central Goods and Services Tax Act, 2017 [“the Act”], whereby a show cause notice dated

21.09.2023 issued by the Sales Tax Officer, Class-II has been adjudicated and a demand of Rs. 15,53,240/- created against the petitioner.

2. Learned counsel for petitioner submits that petitioner was not aware of the said show cause notice and as such, could not file response thereto. He further submits that petitioner has become aware of another order dated 17.12.2023, whereby another show cause notice dated 24.09.2023 for the same tax period i.e. July 2017 to March 2018 has been adjudicated and a demand of the exact same amount created against the petitioner.

3. Perusal of the order dated 25.12.2023 passed on show cause notice dated 21.09.2023

and order dated 17.12.2023 passed on show cause notice dated 24.09.2023 show that both the show cause notices and orders pertaining to the same tax period i.e. July, 2017 to March, 2018 and both orders have been passed by two different officers but of the same jurisdictional office i.e. AVATO, Ward-93, Zone-B, Delhi. Both the show cause notices create nearly identical demand. The order dated 25.12.2023 creates the demand of Rs. 15,53,240/-and the order dated 17.12.2023 creates a demand of Rs. 15,53,234/-.

4. Keeping in view the fact that both the show cause notices and orders pertain to the same tax period i.e. July 2017 to March 2018 and raise identical demand by two different officers of the same jurisdiction and further noticing the submission of the petitioner that replies could not be filed to the show cause notices, both the orders dated 17.12.2023 and 25.12.2023 are set aside. The proceedings on the Show Cause Notices dated 21.09.2023 and 24.09.2023 are clubbed and shall be re-adjudicated by one proper officer in accordance with law.

5. Petitioner shall file a reply to both the show cause notices within a period of 30 days from today. Thereafter, the proper officer shall adjudicate the notices within the period prescribed by Section 75(3) of the Act.

6. Petition is disposed of in above terms. It is clarified that this Court has neither considered nor commented on the merits of the contention of either party. All rights and contentions of the parties are reserved.

Disclaimer:

(Note: Information compiled above is based on my understanding and review. Any suggestions to improve above information are welcome with folded hands, with appreciation in advance. All readers are requested to form their considered views based on their own study before deciding conclusively in the matter. Team BRQ ASSOCIATES & Author disclaim all liability in respect to actions taken or not taken based on any or all the contents of this article to the fullest extent permitted by law. Do not act or refrain from acting upon this information without seeking professional legal counsel.)

In case if you have any querys or require more information please feel free to revert us anytime. Feedbacks are invited at brqgst@gmail.com or contact are 9633181898. or via WhatsApp at 9633181898.