Court condones delay to allow appeal on disputed reverse charge tax liability and SCN quantification discrepancies.
Issue
Whether a small security services provider should be allowed to file a late statutory appeal under Section 107 of the CGST Act when they missed the deadline due to lack of professional advice and the assessment orders involve disputed reverse charge mechanism (RCM) liabilities and discrepancy in the tax amount between the SCN and the final order.
Facts
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The petitioner is a small operator engaged in the business of supplying security services.
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The tax department issued Show Cause Notices (SCNs) to the petitioner for the tax periods FY 2021-22 and FY 2022-23.
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Due to non-appearance, ex parte adjudication orders were passed against the petitioner confirming the demand for tax, interest, and penalties.
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The petitioner failed to file statutory appeals within the prescribed limitation period and approached the High Court for relief.
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The petitioner explained that the delay occurred because they lacked professional advice and could not access the GST portal to view the notices in time.
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On the merits of the case, the petitioner contended that the tax liability fell on the service recipient under the Reverse Charge Mechanism (RCM) rather than on them.
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The petitioner further pointed out that the tax amount quantified in the final assessment orders differed from the amount originally proposed in the SCNs, violating the statutory framework.
Decision
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Held, that earlier judicial orders in similar situations have permitted the filing of appeals under peculiar facts to prevent injustice.
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Held, that because the dispute involves key legal and factual issues—specifically the applicability of the reverse charge mechanism and the discrepancy in demand quantification between the SCN and the final order—it is highly expedient to have these issues properly adjudicated on facts.
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Held, that the petitioner is permitted to file and pursue their statutory appeals under Section 107 of the Act despite the delay, and the petition is allowed in favor of the assessee.
Key Takeaways
Condonation of Delay for Meritorious Disputes: High Courts may exercise extraordinary jurisdiction to condone delay and permit a late appeal if the case raises strong, unresolved legal and factual defenses, such as a clear RCM exemption.
Demand Cannot Exceed SCN Proposals: The tax department cannot confirm a final demand in an assessment order that differs from or exceeds the amount proposed in the initial Show Cause Notice, as doing so violates the fundamental statutory scheme.

