M/s Bandhan Bricks a proprietary concern having its office at Bilari v. Union of India
Case at a glance
Outcome
Disposed of
The writ petition stands disposed off
Provisions considered
Key paragraphs
- Para 22. After some arguments, the learned counsel for the petitioner seeks liberty on behalf of the petitioner to challenge the appellate order dated 14.05.2024 by availing the remedy available under Section 112 of the Bihar Goods and Services Tax Act, 2017. Liberty so sought is…
Judgment
Mr.Maria Nazir, Advocate Mr. K. N. Singh, Sr. Advocate (ASG) Mr. Devansh Shankar Singh, Jr. St. Counsel CGST Mr. Amarjeet, JC to ASG Mr. Vikash Kumar, SC-11 : For the State ====================================================== CORAM: HONOURABLE MR. JUSTICE MOHIT KUMAR SHAH HONOURABLE MR. JUSTICE ARUN KUMAR JHA ORAL ORDER (Per: HONOURABLE MR. JUSTICE MOHIT KUMAR SHAH) 2 13-03-2026 The present writ petition has been filed seeking the following reliefs:-
(i). The order dated 14.05.2024 (as contained in Annexure- P 6) passed by the respondent no. 4 dismissing the appeal for the period 2018-19 be set aside and Patna High Court CWJC No.14102 of 2025(2) dt.13-03-2026 quashed. (ii). The order dated 12.09.2023 and 13.09.2023 (as contained in Annexure-P5 series) passed by the respondent no. 5 under section 73 of the Bihar Goods and Services Tax Act, 2017 merely on estimate and without any cogent evidence or material on record in contravention of Sections 7 and 9 of the Act that too dropping of the previous proceeding beyond a period of limitation set out in section in Section 73 (10) of the Act be set-aside and quashed. (iii). The Notification No. 09/2023 dated 31.03.2023 (as contained in Annexure -P 7) issued by the respondent no. 2 extending the time limit specified under sub Section (10) of Section 73 of the Central Goods and Services Tax Act, 2017 for issuance of order under sub Section (9) of Section 73 of the Act for recovery of tax not paid or short paid or of input tax credit wrongly availed or utilized up to 31.03.2024 for the Financial Year 2018 19 being beyond the scope of powers under Section 168-A of the Act being wholly without jurisdiction be quashed. (iv). the Notification No. 56/2023 dated 28.12.2023 (as contained in Annexure -P 8) issued by the respondent no. Patna High Court CWJC No.14102 of 2025(2) dt.13-03-2026 2 extending the time limit specified under sub Section (10) of Section 73 of the Act for issuance of order under sub Section (9) of Section 73 of the Act for recovery of tax not paid or short paid or of input tax credit wrongly availed or utilized up to 30.04.2024 for the Financial Year 2018-19 being beyond the scope of powers under Section 168A of the Act being wholly without jurisdiction be quashed.
After some arguments, the learned counsel for the petitioner seeks liberty on behalf of the petitioner to challenge the appellate order dated 14.05.2024 by availing the remedy available under Section 112 of the Bihar Goods and Services Tax Act, 2017. Liberty so sought is granted.
Operative part
The writ petition stands disposed off. (Mohit Kumar Shah, J) ( Arun Kumar Jha, J) kanchan/- U
Questions this judgment answers
What did the Court decide in this case?
The Court recorded the following disposition: The writ petition stands disposed off
Which statutory provisions did this judgment involve?
Bihar Goods and Services Tax Act, 2017 — ss. 73, 112; Central Goods and Services Tax Act, 2017 — s. 73.
Precedent status how later indexed judgments have treated this case
No known negative treatment found in the Courts & Cases corpus.
This is a result about the indexed corpus, not a finding that the judgment remains good law. Coverage may be incomplete.