Rajasthan High Court Stays GST Proceedings Over Improper Delegation of Summoning Powers
This landmark interim ruling (July 2025) addresses a fundamental jurisdictional question: Who has the authority to delegate quasi-judicial powers like issuing summons? The Rajasthan High Court has signaled that the current administrative structure of delegating these powers to Superintendents may be legally flawed.
The Legal Issue
Can the Central Board of Indirect Taxes and Customs (CBIC/Board) delegate the power to issue summons to a Superintendent, or is this power of assignment reserved strictly for the Commissioner under the statutory framework of the CGST Act?
Arguments Presented
The Revenue’s Defense:
The Department argued that Circular No. 3/3/2017-CT (dated 05.07.2017), which assigns the functions of a “Proper Officer” to various designations, was essentially issued by the Commissioner (in his capacity within the Board). Therefore, delegating the power to a Superintendent for issuing summons was a valid exercise of administrative authority.
The Petitioner’s Challenge:
The petitioner contended that the Circular explicitly states it was issued by the “Board.” Under Section 2(91) of the CGST Act, a “Proper Officer” is defined as an officer assigned a function by the Commissioner in the Board—not by the Board itself as a collective body. They argued the Board lacks the independent statutory power to delegate such significant quasi-judicial functions.
The Decision: Interim Stay Granted
The Rajasthan High Court, following its previous stance in Mohit Kirana Store v. CBDT & Customs, ruled in favour of the assessee at this interim stage:
Prima Facie Case: The Court found that the distinction between “the Board” and “the Commissioner in the Board” raises a substantial legal question that requires detailed examination.
Protection from Coercive Action: Since the petitioner established a strong prima facie case regarding the lack of jurisdiction of the Superintendent, the Court stayed the operation of the Show Cause Notices (SCNs) dated 23.06.2025 and 24.06.2025.
Interim Order Made Absolute: The Court rejected the Revenue’s application to vacate the stay, ensuring that the tax proceedings remain frozen until the constitutional and statutory validity of the delegation is finalized.
Key Takeaways for Taxpayers
Jurisdictional Objections: If you receive a summons or an SCN issued by an officer (like a Superintendent), always verify if that specific officer has been legally assigned as the “Proper Officer” for that function by the correct authority.
The Power of Section 2(91): This section is the “gatekeeper” of jurisdiction. If the assignment of a function doesn’t follow the specific hierarchy (Commissioner $\rightarrow$ Officer), the entire proceeding (including search, seizure, or summons) could be void.
Administrative vs. Statutory Power: This case highlights that a mere Circular cannot override the specific language of the Act. If the Act says “Commissioner,” the “Board” cannot step in to perform that role.
Summary of the Delegation Hierarchy
The Board (CBIC): A collective body responsible for policy and administration.
The Commissioner in the Board: A specific statutory authority empowered to assign “Proper Officer” functions.
The Proper Officer: The specific individual (e.g., Assistant Commissioner, Superintendent) authorized to perform acts like issuing summons under Section 70.