Composite SCN covering multiple financial years void as Sections 73/74 require year-specific SCNs and assessments

Composite SCN covering multiple financial years void as Sections 73/74 require year-specific SCNs and assessmentsCase-LawsGSTThe HC allowed the petition and quashed the composite SCN and resultant assessment order issued by the respondents insofar as they

Composite SCN covering multiple financial years void as Sections 73/74 require year-specific SCNs and assessments
Case-Laws
GST
The HC allowed the petition and quashed the composite SCN and resultant assessment order issued by the respondents insofar as they aggregate multiple financial years into a single proceeding. The court held Sections 73/74 (including sub-sections prescribing 3/5-year limitation) treat each financial year as a distinct tax period; therefore issuance of a single SCN spanning more than one financial year is impermissible and results in jurisdictional overreach rendering the order void ab initio. The HC directed that show-cause notices and assessments must be year-specific in accordance with the limitation scheme and statutory safeguards, and that annual returns delineate the applicable tax period for issuance of SCNs.
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