Limitation for Revenue refund appeals begins when the order is issued, barring delayed departmental challenges beyond condonable time.

Limitation for Revenue refund appeals begins when the order is issued, barring delayed departmental challenges beyond condonable time.Case-LawsGSTLimitation for Revenue appeals against refund sanction orders under Section 107(2) of the CGST Act runs fr…

Limitation for Revenue refund appeals begins when the order is issued, barring delayed departmental challenges beyond condonable time.
Case-Laws
GST
Limitation for Revenue appeals against refund sanction orders under Section 107(2) of the CGST Act runs from communication of the adjudicating order, construed for intra-departmental purposes as the date of its issuance. Online transmission of refund orders to the review module and their availability on the common portal constitutes service; internal administrative transmission cannot create an indefinite extension. The six-month appeal period may be extended by only one further month under Section 107(4). Post-audit dates and the separate recovery mechanism for erroneous refunds do not enlarge appellate limitation. Appeals filed beyond this period are time-barred and cannot be condoned.
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