Notification extending time limit not applicable for passing of order under Section 73 for FY 2017-18

Notification extending time limit not applicable for passing of order under Section 73 for FY 2017-18

The Hon’ble Allahabad High Court in the case of M/s. AV Pharma v. State of UP [Writ Tax No. 264 of 2024 dated November 12, 2024] allowed the writ petition and quashed the order issued by the Department for FY 2017-2018 stating that the orders have been issued beyond the prescribed time limit thereby holding that as the time limit for passing of order under Section 73 of the Central Goods and Services Tax Act, 2017 (“the CGST Act”) for the Impugned Period i.e. February 05, 2023 has expired prior to the date of notification coming into effect i.e. March 31, 2023, thus, the Notification extending the time limit for passing of Impugned Order under Section 79 would not be applicable.

Facts:

M/s. AV Pharma (“the Petitioner”) through its Proprietor, filed a writ petition for setting aside of order dated October 05, 2024 issued in Form GST DRC-13 and December 02, 2023 issued in Form GST DRC-07 (“the Impugned Orders”) for the period of FY 2017-2018 (“the Impugned Period”) on the ground that the Impugned Orders passed are barred by sub-section (10) of Section 73 of the CGST Act, as the said Impugned Orders have been passed beyond the prescribed time limit, i.e. three years from the due date of filing of annual return, ending on February 05, 2023.

Issue:

Held:

The Hon’ble Allahabad High Court in the case of Writ Tax No. 264 of 2024 held as under:

  • Noted that, for the justification of time limit, reliance was placed upon State Notification No. 515/XI-2-23-9(47)/17-T.C.215-U.P.Act-1-2017-Order-(273)-2023 dated April 24, 2023(“the Notification”), which has been given retrospective effect only w.e.f. March 31, 2023 which has been adopted from notification issued by Central Government bearing Notification No. 09/2023 – Central Tax dated March 31, 2023, thereby extending the time limit for passing of order under Section 73 for the Impugned Period till December 31, 2023.
  • Further Noted that, as the time limit for passing of order under Section 73 of the CGST Act for the Impugned Period i.e. February 05, 2023 has expired prior to the date of notification coming into effect i.e. March 31, 2023, the Notification extending the time limit for passing of Impugned Order under Section 79 would not be applicable.
  • Further Opined that, the Impugned Orders are beyond the prescribed time lime under Section 73(10) of the CGST Act, as applicable during the Impugned Period.
  • Held that, the Impugned Orders are quashed and the writ petition is allowed.

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CA Bimal Jain

A2Z Taxcorp LLP is a boutique Indirect Tax firm having its offices at New Delhi and Guwahati specializing in GST, Central Excise, Custom, Service Tax, VAT, DGFT, Foreign Trade Policy, SEZ, EOU, Export – Import Laws, Free Trade Policy, etc. It is a professionally managed firm having a team of experienced and distinguished Chartered Accountants, Company Secretary, Lawyers, Corporate Financial Advisors and Tax consultants to provide various services like litigation and representation, transaction advisory, diagnostic reviews/ health checks, audit defense & protection, retainership & compliance, configuration of tax efficient business model etc. Its clientele consists mainly of Foreign MNC, large/mid-sized Indian companies which includes exporters, FMCG, consumer durables, automobiles, aerated beverages, ceramic tiles, real-estate, hospitality, etc. Our clients include Varun Beverages Limited, Kajaria Ceramics Limited, L.G. Electronics India Private Limited, Shipra Hotel Limited, Multani Pharmaceuticals Limited, Shangri-La Eros Hotel etc. Flat No. 34B, Ground Floor, Pocket - 1, Mayur Vihar, Phase–I, Delhi – 110091 India Desktel:+91-11-42427056 Mobile:+91 8076563802 info@a2ztaxcorp.com www.a2ztaxcorp.com

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