Consolidated Show Cause Notice Covering Six Financial Years Quashed as Legally Unsustainable Under Section 73
Consolidated Show Cause Notice Covering Six Financial Years Quashed as Legally Unsustainable Under Section 73 Issue Whether the tax authorities have the jurisdiction under Section 73 of the CGST/SGST Act to issue a single, consolidated Show Cause Notice (SCN) spanning six consecutive financial years (FY 2019-20 to 2024-25), or if the statutory scheme mandates the… Read More »

