High Court directs the DGGI to transfer entire investigation to State tax authority as proceedings were already initiated by them. - Khata Dekho (2024)

0 CommentsJanuary 30, 2024

High Court directs the DGGI to transfer entire investigation to State tax authority as proceedings werealready initiated by them.

High Court directs the DGGI to transfer entire investigation to State tax authority as proceedings were already initiated by them. - Khata Dekho (1)

The Hon’ble Jharkhand High Court in the case ofVivek Narsaria v. State of Jharkhand & Ors. [Writ Petition(T) No. 4491 of 2023 dated January 15, 2024]held that since all the proceedings are interrelated, the State Authorities to continue the proceedings as per Section 6(2)(b) of the Central Goods and Services Tax Act, 2017 (“the CGST Act”) read withNotification No. 39/2017-Central Tax dated October 13, 2017and theclarification bearing D.O.F. No. CBEC/20/43/01/2017- GST(Pt.) dated October 5, 2018. Further, directed both the Preventive Wing of the CGST and Directorate General of GST Intelligence Wing of the CGSTto forward all their investigation carried out against the Petitioner and inter-related transactions to the State Authorities, who shall carry out further proceedings against the Petitioner in accordance with law and also, directed to take decision immediately on de-freezing of bank accounts of the Petitioner.

Facts:

Vivek Narsaria(“the Petitioner”)is the proprietor of M/s Manish Trading Company and has been engaged in carrying on the business of trading iron and steel and cement since 2017-18. The purchases and sales were duly reflected in the GST returns furnished by the Petitioner and the outward tax liability was adjusted against the Input Tax Credit(“ITC”)available to the Petitioner.

On March 16, 2023, an inspection was carried out by the Intelligence Bureau of the State Goods and Service Tax(“SGST”)and issued GST INS-01 after the inspection was concluded. Meanwhile, the Petitioner was served with a notice dated April 10, 2023, by the Preventive Branch of Central Goods and Services Tax(“CGST”), Ranchi with a direction to reverse the ITC along with interest and penalty on account of the alleged purchases from the non-existent entity. While both departments were concurrently involved in the proceedings, a search was carried out by Directorate General of Goods and Services Tax Intelligence(“DGGI”), Intelligence Branch of CGST on June 06, 2023. While the summons issued by the SGST (Preventive Wing) and DGGI were to be attended, the Petitioner made certain reversals on different dates vide GST DRC 03, totaling a sum of Rs. 3.42 Crores. Also, the bank account of the assessee has been attached by issuing Form GST DRC-22 and more than 7 Bank Accounts have been frozen.

Given the circ*mstances, where the Petitioner has received a summons from 3 Departments of GST, the Petitioner has filed a writ petition under this Court, seeking a declaration that the authority who has initiated the proceedings prior in point of time, shall be the only authority to carry out the proceedings.

Issue:

In the event that proceedings are initiated by SGST, and subsequently, the same matter is concurrently adjudicated by CGST and DGGI, may SGST be authorised to continue the proceedings?

Held:

The Hon’ble Jharkhand High Court in­­­­Writ Petition(T) No. 4491 of 2023 dated January 15, 2024held as under:

  • Observed that, the entire proceedings were initiated by the inspecting team of SGST, and based upon which, certain deposits have also been made and State has also issued summons and notices from time to time. Hence, the issue is on ‘cross-empowerment’ viz., Section 6(2)(b) of the CGST Act read withNotification No. 39/2017-Central Tax dated October 13, 2017and theclarification bearing D.O.F. No. CBEC/20/43/01/2017- GST(Pt.) dated October 5, 2018.
  • Opined that, on conjoint reading of the above section, notification and clarification, it clearly denotes and implies that it is a chain of a particular event happening under the Act and every & any enquiry/investigation carried out at the behest of any of the Department are interrelated. Hence, the issues raised by the Petitioner herein manifestly crystalize that since all the proceedings are interrelated, the State Authorities should continue with the proceedings.
  • Opined that, the bank account attachment by issuing GST DRC 22 prior to any determination or finding of any irregular/inadmissible/wrong availment of ITC under Section 83 of the CGST Act, which conflicts with the notification issued by the CBEC from time to time, concerning guidelines for attachment of Bank, terming the same to be an ‘arm twisting method’ to make the Petitioner succumb to the particular authority.
  • Directed that, CGST and DGGI, shall forward all their investigation carried out against the Petitioner and inter-related transaction to SGST, who shall continue with the proceedings from the same stage.
  • Held that, CGST and DGGI to make over the entire investigations carried till date to SGST, who shall carry out further proceedings as against the petitioner in accordance with law. Further, directed to SGST to take immediate decision regarding de-freezing of the bank accounts as per Section 83 of the CGST Act. Hence, the writ petition was disposed of.

Souce from: https://www.a2ztaxcorp.com/high-court-directs-the-dggi-to-transfer-entire-investigation-to-state-tax-authority-as-proceedings-were-already-initiated-by-them/

Please visit our website & Get FREE GST Registration :https://khatadekho.com/

High Court directs the DGGI to transfer entire investigation to State tax authority as proceedings were already initiated by them. - Khata Dekho (2024)

FAQs

Which court has the most authority with regards to tax decisions? ›

Congress created the Tax Court as an independent judicial authority for taxpayers disputing certain IRS determinations. The Tax Court's authority to resolve these disputes is called its jurisdiction. Generally, a taxpayer may file a petition in the Tax Court in response to certain IRS determinations.

In which court may litigation dealing with tax matters begin? ›

The United States District Courts have a broad grant of jurisdiction to issue orders, judgments, and decrees necessary to enforce the internal revenue laws. Typical enforcement actions that are commenced in the district courts include: Reducing tax assessments against a taxpayer to judgment.

Which of the following courts hear federal tax cases? ›

U.S. Tax Court. The U.S. Tax Court is a specialized court that hears only federal tax cases at the trial level. Before 1943, the U.S. Tax Court was called the Board of Tax Appeals (BTA).

What are the three types of tax authority? ›

"Authority" comes from many sources including Congress, the Courts, and the Internal Revenue Service. In general, a tax authority can be classified as either a "primary" or "secondary" authority. Primary authority comes from statutory, administrative, and judicial sources.

What is the highest source of tax authority? ›

Legislative Authority

The Internal Revenue Code (IRC), which is the codification of tax laws promulgated by Congress. It is probably the most important source of income tax authority in the United States.

What is the rule 34 in Tax Court? ›

If the notice of deficiency or notice of liability is issued to more than one person, each person wishing to contest the notice must file either a separate petition or a joint petition, and each person must satisfy all the requirements of this Rule in order for the petition to be treated as filed by or for that person.

What is the Golsen rule? ›

Under the rule (referred to as the Golsen Rule) articulated in the case, the Tax Court may render different decisions, based on identical situations, for taxpayers that are differentiated only by the geographical area in which the Tax Court case is decided. Golsen v. Commissioner.

What is the rule 13 in the Tax Court? ›

If one party files a timely notice of appeal, any other party may file a notice of appeal within 120 days after the Tax Court's decision is entered.

What is the highest court a tax dispute has gone to? ›

Judicial Sources: Court Cases

Tax cases are first heard in one of three trial courts and may then advance to the appellate level and to the Supreme Court of the United States.

What are the two reasons why a federal court would hear a case? ›

Federal courts have jurisdiction over cases involving:
  • the United States government,
  • the Constitution or federal laws, or.
  • controversies between states or between the U.S. government and foreign governments.

How is the United States Tax Court different from the other federal courts? ›

The U.S. Tax Court is a specialized court that exclusively hears tax disputes. When the IRS has determined a deficiency, a taxpayer may dispute it in Tax Court before paying any disputed amount. Tax Court cases are assigned to one of nineteen judges, all of whom have expertise in tax law.

Who is the highest authority of income tax? ›

The Income Tax Department is headed by the apex body Central Board of Direct Taxes (CBDT).

Which of the following sources has the highest tax authority? ›

Internal Revenue Code

The Code is the foundation of all tax law and is the most authoritative source.

Which federal court reviews IRS rulings? ›

Problem: For most taxpayers, the U.S. Tax Court is the optimal court in which to challenge an adverse IRS decision, as payment is not a requirement for jurisdiction and the judges possess specialized tax expertise.

Top Articles
Jump-Starting Your Car Battery | Instructions & Videos
Coming out of the dark: why black is such a positive colour
Spasa Parish
Rentals for rent in Maastricht
159R Bus Schedule Pdf
Sallisaw Bin Store
Black Adam Showtimes Near Maya Cinemas Delano
Espn Transfer Portal Basketball
Pollen Levels Richmond
11 Best Sites Like The Chive For Funny Pictures and Memes
Finger Lakes 1 Police Beat
Craigslist Pets Huntsville Alabama
Paulette Goddard | American Actress, Modern Times, Charlie Chaplin
Red Dead Redemption 2 Legendary Fish Locations Guide (“A Fisher of Fish”)
‘An affront to the memories of British sailors’: the lies that sank Hollywood’s sub thriller U-571
Tyreek Hill admits some regrets but calls for officer who restrained him to be fired | CNN
Haverhill, MA Obituaries | Driscoll Funeral Home and Cremation Service
Rogers Breece Obituaries
Ella And David Steve Strange
Ems Isd Skyward Family Access
Elektrische Arbeit W (Kilowattstunden kWh Strompreis Berechnen Berechnung)
Omni Id Portal Waconia
Kellifans.com
Banned in NYC: Airbnb One Year Later
Four-Legged Friday: Meet Tuscaloosa's Adoptable All-Stars Cub & Pickle
Ice Dodo Unblocked 76
Is Slatt Offensive
Labcorp Locations Near Me
Storm Prediction Center Convective Outlook
Experience the Convenience of Po Box 790010 St Louis Mo
Fungal Symbiote Terraria
modelo julia - PLAYBOARD
Poker News Views Gossip
Abby's Caribbean Cafe
Joanna Gaines Reveals Who Bought the 'Fixer Upper' Lake House and Her Favorite Features of the Milestone Project
Pull And Pay Middletown Ohio
Tri-State Dog Racing Results
Navy Qrs Supervisor Answers
Trade Chart Dave Richard
Lincoln Financial Field Section 110
Free Stuff Craigslist Roanoke Va
Wi Dept Of Regulation & Licensing
Pick N Pull Near Me [Locator Map + Guide + FAQ]
Ice Hockey Dboard
Wie blocke ich einen Bot aus Boardman/USA - sellerforum.de
Infinity Pool Showtimes Near Maya Cinemas Bakersfield
Dermpathdiagnostics Com Pay Invoice
A look back at the history of the Capital One Tower
How To Use Price Chopper Points At Quiktrip
Maria Butina Bikini
Busted Newspaper Zapata Tx
Latest Posts
Article information

Author: Lilliana Bartoletti

Last Updated:

Views: 5948

Rating: 4.2 / 5 (73 voted)

Reviews: 88% of readers found this page helpful

Author information

Name: Lilliana Bartoletti

Birthday: 1999-11-18

Address: 58866 Tricia Spurs, North Melvinberg, HI 91346-3774

Phone: +50616620367928

Job: Real-Estate Liaison

Hobby: Graffiti, Astronomy, Handball, Magic, Origami, Fashion, Foreign language learning

Introduction: My name is Lilliana Bartoletti, I am a adventurous, pleasant, shiny, beautiful, handsome, zealous, tasty person who loves writing and wants to share my knowledge and understanding with you.