ITC Reversal Order Set Aside: Duplicate Proceedings for Same Period

By | February 6, 2025

ITC Reversal Order Set Aside: Duplicate Proceedings for Same Period

Summary in Key Points:

  • Issue: Were the subsequent assessment proceedings and the resulting order valid, given that they covered the same supplies and period as the earlier proceedings, leading to contradictory decisions regarding ITC reversal?

  • Facts: The petitioner-assessee faced assessment proceedings for the period 2019-2020, starting with a DRC-01A notice. A show cause notice (DRC-01) proposed to reverse Input Tax Credit (ITC). However, the final assessment order dated August 21, 2024, dropped the ITC reversal. Despite this, another set of proceedings began for the same period, culminating in an order dated July 18, 2024, confirming ITC reversal. The petitioner challenged the second order, claiming it dealt with the same supplies as the earlier proceedings.

  • Decision: The court set aside the impugned order dated July 18, 2024. The respondent (tax authority) was granted liberty to issue a fresh notice to verify if the supplies covered in both orders were identical and proceed accordingly.

Important Note: This decision highlights the issue of duplicate proceedings and conflicting orders. Conducting two sets of assessments for the same period and supplies, leading to contradictory decisions on ITC reversal, is inefficient and creates confusion for taxpayers. The court’s decision to set aside the second order and allow for verification of the supplies ensures that the assessee is not subjected to conflicting assessments and that the correct decision is ultimately reached. This ruling promotes fairness and prevents unnecessary burden on taxpayers due to administrative inconsistencies.

HIGH COURT OF MADRAS
Damro Furniture (P.) Ltd.
v.
State Tax Officer
Mohammed Shaffiq, J.
W.P. No.36056 of 2024
W.M.P.Nos.38952 and 38954 of 2024
DECEMBER  2, 2024
G. Shiva Kumar for the Petitioner. C. Harsha Raj, Addl. Govt. Pleader for the Respondent.
ORDER
1. The present writ petition is filed challenging the impugned order dated 18.07.2024 on the premise that the same supplies are subject to assessment more than once.
2. It is submitted by the learned counsel for the petitioner that there were two assessment proceedings which were undertaken simultaneously for the very same period viz., 2019-20. The first proceeding commenced with the issuance of a notice dated 30.05.2023 in DRC-01A, followed by a Show Cause Notice in Form DRC-01 dated 18.07.2024 and culminated in an order dated 21.08.2024 wherein the proposal to reverse the Input Tax Credit was dropped. The second impugned proceeding commenced with the issuance of a notice dated 29.08.2023, followed by a Show Cause Notice in DRC-01A dated 17.05.2024 and culminated in confirming the proposal to reverse the Input Tax Credit to the extent of Rs.13,28,002/- though it was originally proposed to reverse the Input Tax Credit to the extent of Rs.54,06,825/-.
3. It is the case of the petitioner that the amount of Rs. 13,28,002/- in the impugned order, whereby Input Tax Credit was rejected, pertains to the very same supplies / claim that were the subject of the earlier proceedings in which the entire proposal for the reversal of Input Tax Credit to the extent of Rs. 13,28,002/- was dropped.
4. The learned counsel for the respondent would submit that though there seem to be some element of overlap, it needs to be verified whether the supplies covered by the impugned order dated 18.07.2024 and the order dropping the proposal dated 21.08.2024 are in respect of the very same / identical taxable supplies on which Input Tax Credit has been claimed. In view thereof, the impugned order is set-aside with liberty to the respondent authority to issue a fresh notice to examine whether the subject supplies in the order dated 21.08.2023 and the impugned order dated 18.07.2024 are one and the same and then proceed if warranted in accordance with law.
5. Accordingly, the writ petition stands disposed of. No costs. Consequently, connected miscellaneous petitions are closed.
Category: GST

About CA Satbir Singh

Chartered Accountant having 12+ years of Experience in Taxation , Finance and GST related matters and can be reached at Email : Taxheal@gmail.com