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2025 (5) TMI 989 - HC - GST


The Calcutta High Court addressed a writ petition challenging a show cause notice issued under Section 74 of the Central/West Bengal Goods and Services Tax Act, 2017. During the pendency of the petition, an order in original dated 31st January 2025 was passed for the tax period July 2017 to March 2020. The Court held that the adjudication order, being a separate cause of action, "cannot be challenged by way of a connected application." Consequently, the Court permitted the petitioners to challenge both the show cause notice and the adjudication order "in a composite manner in accordance with law, before the appropriate forum." The writ petition and connected application were disposed of accordingly. No affidavit-in-opposition was filed, so the allegations in the petition remain unadmitted.

 

 

 

 

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