GST Section 74 notices need prima facie foundational facts; prior disclosure can cure gaps in the notice

GST Section 74 notices need prima facie foundational facts; prior disclosure can cure gaps in the noticeCase-LawsGSTIn GST proceedings, invocation of the extended period under Section 74 depends on jurisdictional or foundational facts and a prima facie…

GST Section 74 notices need prima facie foundational facts; prior disclosure can cure gaps in the notice
Case-Laws
GST
In GST proceedings, invocation of the extended period under Section 74 depends on jurisdictional or foundational facts and a prima facie view, based on available material, that non-payment, short payment, wrongful input tax credit, fraud, wilful misstatement or suppression exists. The notice should ordinarily disclose the basis for alleging the mental element, but prior communication of those grounds through scrutiny, audit, inspection or pre-notice intimation can satisfy the requirement, so a detailed notice is not invalid merely because it repeats earlier allegations. Notices were upheld where the basis had already been disclosed, while an inadequately particularised order was remitted for fresh consideration under Section 73, with possible recourse to Section 74 if information remained unprovided.
TMI Updates – Highlights, quick notes, marquee, annotation, news, alerts

= = = = = = = =

Plain text (Extract) only
For full text:-Visit the Source

= = = = = = = =