Single Show Cause Notice Can be Issued for Multiple Financial years Under Section 74 of the GST Act
Summary in Key Points:
- Issue: Whether a single show cause notice (SCN) can be issued for multiple financial years under Section 74 of the GST Act.
- Facts: The assessee challenged a show cause-cum-demand notice issued for multiple periods, arguing that separate notices should have been issued for each financial year.
- Decision: The High Court held that a single SCN for multiple periods is permissible under Section 74, as long as it is issued within the prescribed time limit.
Decision:
The High Court ruled in favor of the revenue department, stating that there is no prohibition in Section 74 of the GST Act against issuing a single SCN for multiple periods. The court clarified that the only condition is that the notice must be issued at least six months prior to the time limit specified in Section 74(10) for issuing the order. Since there was no issue of limitation in this case, the court held that the writ petition challenging the single SCN was not maintainable.
Important Note: This case clarifies that a single SCN can cover multiple periods under Section 74 of the GST Act, as long as it is issued within the time limit. This allows the tax authorities to consolidate proceedings for different periods into a single notice, streamlining the process and potentially reducing administrative burden.