Facts of the Case
K.Perumal's GST registration was cancelled by order dated 16.07.2024 (in Form GST REG-19) pursuant to a show-cause notice dated 14.06.2024 issued for failure to furnish bank account details. The petiti...
Facts of the Case
The petitioner suffered an ex parte order dated 21.02.2025 in Form GST DRC-07 passed by the Commercial Tax Officer, Rajapalayam-1 Assessment Circle. By the time the writ petition was filed, the statuto...
Facts of the Case
The petitioner, running a proprietorship under the name M/s G.T. & Son Enterprises engaged in construction, hardware and government-order supplies, had his GST registration cancelled by order dated...
Facts of the Case
Ammara Enterprises was served with a combined assessment order dated 28.08.2024 (DIN No. DIN3728082491130) in Form GST DRC-07 for the tax periods 2020-23, raising a demand of tax, interest and penalty....
Facts of the Case
Tvl.S.S.R. Arts challenged an assessment order dated 21.12.2023 for assessment years 2017-18 to 2020-21 passed under provisions of the CGST Act, along with the underlying Notification No.09/2023-Centra...
Facts of the Case
Sharma Enterprises challenged the cancellation of its GST registration and sought the same relief that the Uttarakhand High Court had already granted in two closely preceding matters — Writ Petition ...
Facts of the Case
Following an intimation in Form GST DRC-01A, the jurisdictional officer issued a show-cause notice dated 21.12.2023 under Section 73(1) of the CGST/KGST Act, 2017 alleging discrepancies in tax liabilit...
Facts of the Case
The petitioner challenged three separate assessment orders passed under Section 74(9) of the TN/CGST Act, 2017 for assessment years 2019-20, 2021-22 and 2022-23, each preceded by DRC-01/DRC-01A notices...
Facts of the Case
M/S Rishabh Pharma challenged an order dated 15.04.2024 passed by the Assistant Commissioner, State Tax, Sector-15, Varanasi, under Section 73 of the GST Act, 2017, creating a tax demand. The petitione...
Facts of the Case
M/s. Agarwal Agro Industries sought quashing of three orders dated 10.06.2025 and 11.06.2025. The principal grievance was that the petitioner had been left remedyless because the Goods and Services Tax...