My Home Industries Pvt. Ltd Vs State Tax Officer
Date: March 15, 2023
Subject Matter
Pre-assessment notice or show cause notice must be issued prior to the adjudication order
Summary
The petitioner has challenged an order passed under the Tamil Nadu Goods and Services Tax Act, 2017, claiming that no pre-assessment notice or show cause notice was issued prior to the order. The officer maintains that notice was issued online, but the petitioner produced evidence showing that notice was not received. As a result, the court set aside the order. The writ petition and connected miscellaneous petitions were allowed with no costs.
Heard Mr.G.Natarajan, learned counsel for the petitioner and Mr.TNC.Kaushik, learned Additional Government Pleader for the respondent.
2. The main ground on which order dated 14.05.2020 passed in terms of the provisions of the Tamil Nadu Goods and Services Tax Act, 2017 (in short ‘TNGST Act’) is assailed is that no pre-assessment notice/show cause notice was issued prior to passing of the impugned order.
3. A perusal of the impugned order reflects at reference No.2, office notice GSTIN 33AACM9480C1ZM/2017-2018 dated 20.09.2019. The officer also states at paragraph 2 that notice dated 20.09.2019 that contained, inter alia, opportunity of personal hearing, was issued. He goes on to say that there was no response to the notice either by way of written reply or personal hearing and hence, DRC 01 dated 05.02.2020 was issued. He thus proceeds to raise a demand on the transitional credit allegedly wrongly availed along with interest at the rate of 24%.
4. It is the petitioner’s case that notice dated 20.09.2019 and Form DRC 01 dated 05.02.2020 were never received, either physically or by way of online modes of service.
5. In counter, the officer maintains that notice dated 20.09.2019 was issued to the tax payer online. However, the petitioner has placed on file at pages 13 and 14 of compilation dated 15.12.2020 accompanying the typed set the screen shot of the dash board of the user/tax payer on the Goods and Services Tax website setting out the sequence of notices issued between 30.10.2018 and 14.05.2020 to the petitioner. Nowhere, do notice dated 20.09.2019 or Form DRC 01 dated 05.02.2020 figure. There is no defence to this position.
6. In light of the documentary evidence that has been produced which is a print out of the virtual summary of notices issued to the petitioner and this being the admitted position, the impugned order is liable to be set aside and I do so.
7. This Writ Petition and the connected Miscellaneous Petitions are allowed. No costs.