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 S
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