Alternative statutory appeal remedy bars writ challenge to ineligible input tax credit demand based on alleged fake invoices.

Alternative statutory appeal remedy bars writ challenge to ineligible input tax credit demand based on alleged fake invoices.Case-LawsGSTIneligible input tax credit allegedly claimed through fake invoices from non-existing firms was addressed in relati…

Alternative statutory appeal remedy bars writ challenge to ineligible input tax credit demand based on alleged fake invoices.
Case-Laws
GST
Ineligible input tax credit allegedly claimed through fake invoices from non-existing firms was addressed in relation to the statutory appellate remedy. The notes state that the findings on the entities' functioning, ITC availment, and the described modus operandi were identical to those in another Order-in-Original. As the petitioner had an effective alternative remedy, the writ petition was not entertained; the appropriate course was an appeal to the Additional or Joint Commissioner of Appeals under section 107 of the CGST Act against the Order-in-Original.
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