Tax Management India. Com
Law and Practice  :  Digital eBook
Research is most exciting & rewarding
  TMI - Tax Management India. Com
Follow us:
  Facebook   Twitter   Linkedin   Telegram

Home Case Index All Cases GST GST + HC GST - 2025 (5) TMI HC This

  • Login
  • Summary

Forgot password       New User/ Regiser

⇒ Register to get Live Demo



 

2025 (5) TMI 1722 - HC - GST


1. ISSUES PRESENTED and CONSIDERED

The core legal questions considered by the Court in this matter include:

  • Whether the petitioner's claim of rectification of errors in GST returns, specifically the correction of double entries made in GSTR-1 and subsequent amendments in GSTR-3 and GSTR-1, was adequately substantiated by documentary evidence before the assessing authority;
  • Whether the assessing authority was justified in rejecting the petitioner's rectification application under Section 161 of the Tamil Nadu Goods and Services Tax Act, 2017 (TNGST Act) without granting a reasonable opportunity of hearing;
  • Whether the impugned orders confirming the tax demand due to under declaration of output tax and excess claim of Input Tax Credit (ITC) were legally sustainable in the absence of supporting evidence for the petitioner's explanations;
  • The procedural propriety of the assessment and rectification process under the GST framework, including the treatment of discrepancies detected through cross-verification of returns such as GSTR-1, GSTR-2A, and GSTR-3B;
  • The scope for judicial intervention in the assessment order and rectification rejection in the context of the GST statutory regime.

2. ISSUE-WISE DETAILED ANALYSIS

Issue 1: Adequacy of Documentary Evidence to Substantiate Rectification Claims

Relevant legal framework and precedents: Under the TNGST Act, the filing of returns such as GSTR-1 and GSTR-3B is mandatory, and any discrepancies or errors detected therein must be substantiated with documentary proof to justify rectification or correction. The burden lies on the taxpayer to provide credible evidence for amendments or claims made post initial filing. Precedents emphasize the necessity of documentary support for claims of error rectification in GST returns to prevent misuse of the rectification provisions.

Court's interpretation and reasoning: The Court noted that the petitioner acknowledged the inadvertent double entries in GSTR-1 for March 2019 and claimed corrections were made in GSTR-3 for March 2019 and subsequently in GSTR-1 for April 2019. However, the petitioner failed to produce any documentary evidence before the assessing authority to substantiate these corrections, relying solely on a tax liability comparison statement.

Key evidence and findings: The absence of documentary proof before the authority was critical. The tax liability comparison statement alone was deemed insufficient to validate the petitioner's claim of rectification.

Application of law to facts: The Court applied the principle that claims of amendments or corrections in GST returns must be supported by documentary evidence. The failure to produce such evidence justified the assessing authority's rejection of the rectification application.

Treatment of competing arguments: The petitioner argued that corrections were made and explained the error in their reply; the respondent countered that no documentary proof was submitted before the authority, and hence the rectification claim was not credible. The Court sided with the respondent's position.

Conclusions: The Court concluded that in the absence of documentary evidence, the assessing authority rightly rejected the petitioner's rectification application and confirmed the assessment.

Issue 2: Legality of the Assessing Authority's Orders Confirming Tax Demand

Relevant legal framework and precedents: The GST law mandates that returns filed must be accurate and truthful. Discrepancies such as under declaration of output tax and excess claim of ITC attract scrutiny and assessment. The assessing authority is empowered to issue show cause notices and pass orders confirming tax demands, provided the procedure is followed and evidence supports the findings.

Court's interpretation and reasoning: The Court observed that the assessing authority issued a show cause notice under Form DRC-01 after detecting discrepancies in the petitioner's returns. The petitioner's reply was found deficient due to lack of supporting documents. The authority's confirmation of tax demand was thus based on the absence of credible evidence to the contrary.

Key evidence and findings: The petitioner's returns and the comparison of GSTR-1, GSTR-2A, and GSTR-3B revealed inconsistencies. The petitioner's failure to substantiate correction claims led to confirmation of the tax demand.

Application of law to facts: The Court applied the statutory provisions empowering the assessing authority to confirm tax demands when discrepancies remain unexplained or unsupported.

Treatment of competing arguments: The petitioner contended that the errors were inadvertent and corrected subsequently, but failed to provide documentary proof before the authority. The respondent maintained that the absence of such proof justified the confirmation of demand. The Court upheld the respondent's stance.

Conclusions: The impugned assessment order confirming the tax demand was held to be legally sustainable.

Issue 3: Procedural Fairness in Rejecting Rectification Application Without Hearing

Relevant legal framework and precedents: Section 161 of the TNGST Act permits rectification of orders, but principles of natural justice require that the affected party be given a reasonable opportunity of hearing before rejection of such applications.

Court's interpretation and reasoning: The petitioner argued that the rectification application was rejected without a reasonable opportunity of hearing. However, the Court found no material on record to indicate that the petitioner requested or was denied such opportunity, nor that the authority acted arbitrarily.

Key evidence and findings: The petitioner's reply and documents were submitted late and without sufficient evidence. The authority's rejection was based on the insufficiency of evidence rather than denial of hearing.

Application of law to facts: The Court observed that the procedural fairness was not violated as the authority's rejection was grounded on substantive insufficiency of proof, and no mandatory hearing was prescribed under the circumstances.

Treatment of competing arguments: The petitioner's claim of denial of hearing was not supported by any material, and the respondent denied any such denial. The Court accepted the respondent's position.

Conclusions: The rejection of the rectification application without hearing was not found to be contrary to principles of natural justice or statutory requirements.

Issue 4: Scope of Judicial Intervention in GST Assessment and Rectification Proceedings

Relevant legal framework and precedents: Judicial review of tax assessments is limited to ensuring legality, procedural compliance, and absence of arbitrariness. Courts generally do not interfere with factual findings or exercise discretion vested in tax authorities unless there is manifest error or violation of principles of natural justice.

Court's interpretation and reasoning: The Court noted that the petitioner's challenge was essentially factual, relating to documentary proof and correctness of assessment. The Court found no legal infirmity or procedural irregularity warranting interference.

Key evidence and findings: The assessment and rectification orders were supported by the record showing lack of documentary evidence and proper issuance of show cause notice.

Application of law to facts: The Court applied the principle of limited judicial interference and upheld the impugned orders.

Treatment of competing arguments: The petitioner sought judicial intervention on merits; the respondent urged deference to the statutory authority's findings. The Court sided with the respondent.

Conclusions: The Court declined to interfere with the assessment and rectification orders.

3. SIGNIFICANT HOLDINGS

The Court held that:

"In the absence of material documentary evidence, the respondent Authority has passed the impugned orders, and hence, this Court does not find any infirmity in the impugned orders passed by the respondent."

This pronouncement underscores the principle that the burden of proof to substantiate claims of rectification or correction in GST returns lies squarely on the taxpayer, and failure to discharge this burden justifies confirmation of tax demand.

The Court established the core principle that a tax liability comparison statement without documentary evidence is insufficient to substantiate claims of error correction in GST returns.

Further, the Court confirmed that rejection of rectification applications under Section 161 of the TNGST Act without a

 

 

 

 

Quick Updates:Latest Updates