M/s.Gee Kay Steel Corporation v. 1. The Assistant Commissioner (ST)
Case Details
Acts & Sections
Petition under Article 226 of the Constitution of lndia praying that in the circumstances stated in the affidavit filed therewith, the High Court may be pleased to issue Writ of Mandamus or any other appropriate Writ or Order. or direction declaring (1) the action of the '1st Respondent in passing the Order, dated 18/09/2024, the Summary of the Order in Form GST DRC-07' dated 18logt2\24 and the Summary of Assessment Order, dated 18/09/2024 under Section 74 of the CGST/SGST Aci 2017, instead of under Section 73 of the CGST/SGST Acl 2017, for the tax period August 2020, without considering the detailed objections of the Petitioner, dated 1410212024, without generating verifiable Document ldentification Number (DlN), without providing sufficient opportunity of being heard to the Petitioner, after submission of objections, without signature in the Order, dated 18/09/2024, the Summary of the Order in Form GST DRC-07, dated 18/09/2024, as arbitrary, contrary to the provisions of the CGST/SGST Act, not valid in the eye of law, in violation of Principles of Natural Justice and Rule of Law, and contrary to the Article 1a, rcQ)@) and 265 of the Constitution of lndia, (2) the action of the 1"t Respondent in not issuing the Form GST DRC-01A, as contrary to Section 169 of the CGST/SGST Acts 2017 read with Rule 142(1A) of the CGST/SGST Acts 2017, (3) the action of the 1St Respondent in levying tax, interest and penalty under Section 74 of the CGST/SGST Act, for the tax period August 2020, though the Petitioner has lnvoices and Bank Statement for payment proof, as illegal, arbitrary, improper, unfair, violating articles 14, 19(1(g),2'l and 300A of the Constitution of lndia (4) invoking Section 74 of the CGST/SGST Act 2017 by pissing the Order, dated 1810912024, the Summary of the Order, dated 18lOgl2O24 and the Summary of Assessment Order. dated 1810912024 for the tax period August 2020, taking extended period of limitation, is not valid in the eye of law lA NO: 1 OF 2025 Petition under Section 151 CPC praying that in the circumstances stated in the affidavit filed in support of the petition, the High Court may be pleased to suspend the operation of the Order. dated 18/09/2024, the Summary of the Order in Form GST DRC-07, dated 18/09/2024 and the Summary of Assessment Order, dated '18/09/2024 passed by the 1st Respondent for the tax period August 2020 under Section 74 o'f lhe CGST/SGST Acts 2017, pending disposal of the above Writ Petition, as otheruruise, the Petitioner will be put to severe loss and hardship. Counsel for the Petitioner: SRl. SHAIK JEELANI BASHA Counsel for the Respondent Nos.1&2: SRI SWAROOP OORILLA Special Govt Pleader for State Tax Counsel for the Respondent No.3: SRI PULIMAMIDI SHASHTDHAR SC FOR CENTRAL GOVERNMENT Counsel for the Respondent No.4: SRI DOMINIC FERNANDES SC FOR CBIC WRIT PETIT|ON NO:4073 OF 2025 Between: M/s.Gee Kay Steel Corporation. S.D.Road, Secunderabad - 500 Proprietor Mr.Gopal Kishan Agaruval 1-8-3215, 2nd Floor, Bapubagh 003. State of Telangana. Rep. Colony, by its AND 1 2 The Assistant Commissioner (ST), M.G.Road-S.D.Road Circle, Begumpet Division, Hyderabad. The State of Telangana, Eep. by its Principal Secretary, Revenue (CT) Department, Telangana Secretarial, Hyderabad. ...PETITIONER
3. The Union of lndia, Rep. by its Secretary, Department of Revenue, Ministry of Finance, New Delhi.
4. The Central Board of lndirect Taxes and Customs, Rep. by its Chairman, Ministrv of Finance, Department of Revenue, North Block, Central Secretariat, New Dalhi - 100 001 . (2nd to 4th Respondents are not necessary parties) ...RESPONDENTS Petition under Article 226 of the Constitution of lndia praying that in the circumstances stated in the affidavit filed theiewith, the High Court may be pleased to issue wRlT oF MANDAIVIUS or any other appropriate writ order or direction declaring. ('l ) the action of the l st Respondent in passing the Order, dated 19.09.2024, the Summary of the Order in Form GST DRC-07' dated 't9.09.2024 and the summary of Assessment order, dated 19.0s.2024 under Section 74 of the CGST/SGST Acl 2O17, instead of under Section 73 of the CGST/SGST Act 2O17 for lhe tax period September 2019, without generating verifiable Document ldentification Number (DlN), without providing sufficient opportunity of being heard to the Petitioner, without signature in the Order, dated t9.09.2024' the Summary of the Order in Form GST DRC-07, dated 19.09.2024, as arbitrary, contrary to the provisions of the CGST/SGST Act, not valid in the eye of law, in violation of Principles of Natural Justice and Rule of Law, and contrary to the Article 14, 19(2)(g) and 265 of the constitution of lndia (2) the action of the 1st Respondent in not issuing the Form GST DRC-01A, as contrary to Section 169 of the CGST/SGST Act 2017 read with Rule 1 42( 1 A) of the CGST/SGST Act 2017 (3\ the action of the 1"t Respondent in levying tax, interest and penalty under Section 74 of the CGST/SGST Act, for the tax period September 2019. though the Petitioner has lnvoices and Bank Statement for payment proof, as illegal, arbitrary, improper, unfair, violating articles 14, 19(1(g), 21 and 300A of the Constitution of lndia, (4) invoking Section 74 of the CGST/SGST Acl 2017 by passing the Order, dated 19.09.2024, the Summary of the Order, dated 19.09.2024 and the Summary of Assessment Order, dated 19.09.2024 for the tax period September 2019, taking extended period of limitation, is not valid in the eye of law ' lA NO: 1 OF 2025 Petition under Section 151 CPC praying that in the circumstances stated in the affidavit filed in support of the petition, the High Court may be pleased to Suspend the operation of the Order, dated 19.09.2024, the Summary of the Order in Form GST DRC-07, dated 19.09.2024 and the Summary of Assessment Order, dated 19.09.2024 passed by the 1"t Respondent for the tax p,eriod September 2019 under Section 74 of the CGST/SGST Acts 2017, pending disposal of the above Writ Petition, as otherwise, the Petitioner will be put to severe loss and hardship. Counsel for the Petitioner: SRl. SHAIK JEELANI BASHA Gounsel for the Respondent Nos.1&2: SRI SWAROOP OORILLA Special Govt Pleader for State Tax Counsel for the Respondent No.3: SRI PULIMAMIDI SHASHIDHAR SC FOR CENTRAL GOVERNMENT Counsel for the Respondent No.4: SRI DOMINIC FERNANDES Sc FOR CBIC WRIT PETITION NO: 3584 OF 202s Between: M/s.Gee Kay Steel Corporation, 1-8-3215, 2nd Floor, Bapubagh Colony, S.D.Road, Secunderabad - 500 003. State of Telangana. Rep. by its Proprietor Mr.Gopal Kishan Agarwal ...PETITIONER AND 1 2 3 4 The Assistant Commissioner (ST), M.G.Road-S.D.Road Circle, Begumpet Division, Hyderabad. The State of Telangana, Rep- by its Principal Secretary, Revenue (CT) Department, Telangana Secretariat, Hyderabad. The Union of lndia, Rep. by its Secretary, Department of Revenue, Ministry of Finance, New Delhi. The Central Board of lndirect Taxes and Customs, Rep. by its Chairman, Ministry of Finance, Department of Revenue, North Block, Central Secretariat, New Delhi - 100 001 . ...RESPONDENTS Petition under Article 226 of the Constitution of lndia praying that in the circumstances stated in the affidavit filed therewith, the High Court may be pleased to issue Writ of Mandamus or any other appropriate Writ or Order or direction declaring. (1 ) the action of the 1St Respondent in passing the Order, dated 1810912024, the Summary of the Order in Form GST DRC-07, dated 1BlO9l2O24 and the Summary of Assessment Order, dated 18logl2o24 under Section 74 of the CGST/SGST Acts 2017, instead of under Section 73 of the CGST/SGST Acts 2017 , for the tax period April 2O2O, without considering the detailed objections of the Petitioner, dated 1510212024, without generating verifiable Document ldentification Number (DlN), without providing sufficient opporlunity of being heard to the Petitioner, after submission of objections, without signature in the Order, dated 18/09/2O24, lhe Summary of the Order in Form GST DRC-07, dated 1810912024, as arbitrary, contrary to the provisions of the CGST/SGST Acts 2017, not valid in the eye of law, in violation of Principles of Natural Justice and Rule of Law. and contrary to.the Article la, 19(2)(9) and 265 of the Constitution of lndia. (2) the action of the l"t Respondent in not issuing_ the Form GST DRC-0'lA, as contrary to Section 169 of the CGST/SGST Acts 2017 read with Rule 142(14) of the GGST/sGST Acts 2017. (3) the action of the 1st Respondent in levying iax, interest and penalty under section 74 of the CGST/SGST Acts 2017, for the tax period April 2020, though the Petitioner has lnvoices and Bank Statement for payment proof, as illegal, arbitrary, improper, unfair, violating articles 1 4, t 9(t (g), 21 and 3004 of the Constitution of lndia. (4) invoking Section 74 of the CGST/SGST Acts 2017 by passing the Order, dated 18/09/2024, the Summary of the order, dated 18i09i2 o24 and the summary of Assessment order; dated 18logt2)24 for the tax period April 2020, taking extended period of limitation, is not valid in the eye of law IANO:1OF 2025 Petition under section 151 CPC praying that in the circumstances stated in the affidavit filed in support of the petition, the High Court may be pleased to iuspend the operation of th" ord"r, dated 18/09/2024, the Summary of the order in Form GST DRC-07, dated 18i09/2024 and the Summa.ry of Assessment order, dated 18/09/2024 passed by the 1st Respondent for the tax period April 2020 under section 74 of the cG-sT/sGST Acts 2017, pending disposal of the above writ Petition, as otheMise, the Petitioner will be put to severe loss and hardship. Counsel for the Petitioner: SRl. SHAIK JEELANI BASHA Counsel for the Respondent Nos.1&2: SRI SwARooP ooRlLLA Special Govt Pleader for State Tax Counsel for the Respondent No.3: SRI GADI PRAVEEN KUMAR DY' SOLICITOR GENERAL OF INDIA Counsel for the Respondent No.4: SRI DoMlNlc FERNANDES Sc FoR cBlc WRIT PETITION NO: 6034 OF 2025 Between: It//s.Gee Kav Steel Corporation, 1-8-3215' 2nd Floor, Bapubagh s.o.n"io. decunderabab - 5oo 003. State of Telangana' Rep Proprietor Mr.Gopal Kishan Agarwal Colony, by its ...PETITIONER AND 1 The Assistant Commissioner (ST), M.G.Road-S.D.Road Circle, Begumpet Division, Hyderabad.
2. The State of Telangana, Rep. by its Principal Secretary, Revenue (CT) Department, Telangana Secretariat, Hyderabad.
3. The Union of lndia, Rep. by its Secretary, Department of Revenue, Ministry of Finance, New Delhi.
4. The Central Board of lndirect Taxes and Customs, Rep. by its Chairman, uinistry of Finance, Department of Revenue, North Block, central secretariat, New Delhi - 100 001 . ...RESPONDENTS Petition under Article 226 of the Constitution of lndia praying that in the circumstances stated in the affidavit filed therewith, the High court may be pleased to issue Writ of Mandamus or any other appropriate Writ or Order or direction declaring. (1 ) the action of the 1St Respondent in passing the Order, dated - :Ftfwr@v '.- a' -e I ' -". ''-t/,/ //
18.09.2024, the Summary of the Order in Form GST DRC-07, dated 18.09.2024 and the Summary of Assessment Order, dated 18.O9.2024 under Section 74 of the CGST/SGST Act 2017, instead of under Section 73 of the CGST/SGST Act 2017, for the tax period April 2020, without considering the detailed objections of the Petitioner, dated 15.02.2024, without generating verifiable Document ldentification Number (DlN), without providing sufficient opportunity of being heard to the Petitioner, after submission of objections, without signature in the Order, dated 18.09.2024, the Summary of the Order in Form GST DRC-07, dated 18.09.2024, as arbitrary, contrary to the provisions of the CGST/SGST Acts 2017, not valid in the eye of law, in violation of Principles of Natural Justice and Rule of Law, and contrary to the Article 1a, 19(2)(g) and 265 of the Constitution of India. (2) the action of the 1st Respondent in not issuing the Form GST DRC-01A, as contrary to Section 169 of the CGST/SGST Acts 20'17 read with Rute 142(14) of the CGST/SGST Acts 2017, (3) the action of the 1st Respondent in levying tax, interest and penalty under Section 74 of the CGST/SGST Acts 2017, for the tax period April 2020, though the Petitioner has lnvoices and Bank Statement for payment proof, as illegal, arbitrary, improper, unfair, violating articles 14, 19(1(g), 21 and 3004 of the Constitution of lndia, (4) invoking Section 74 of the CGST/SGST Acts 2017 by passing the Order, dated 18.09.2024, the Summary of the Order, dated 18.09.2024 and the Summary of Assessment Order, dated 18.09.2024 for the tax period April 2020, taking extended period of limitation, is not valid in the eye of law lA NO: 1 OF 2025 Petition under Section 151 CPC praying that in the circumstances stated in the affidavit filed in support of the petition, the High Court may be pleased to suspend the operation of the Order, dated 18.09.2024, the Summary of the Order in Form GST DRC-07, dated 18.09.2024 and the Summary of Assessment Order, dated 18.09.2024 passed by the 1st Respondent for the tax period April 2020 under Section 74 of the CGST/SGST Acts 2017, pending disposat of the above Writ Petition, as otheruise, the Petitioner will be put to severe loss and hardship. Counsel for the Petitioner:SRl. SHAIK JEELANI BASHA Counsel forthe Respondent Nos.1&2: SRI SWAROOP OORTLLA Special Govt Pleader for State Tax Counsel for the Respondent No.3: SRt cADl PRAVEEN KUMAR SC FOR CENTRAL GOVT Counsel for the Respondent No.4: SRI DOMIN|C FERNANDES SC FOR CBIC The Court made the foltowing: GOMMON ORDER ) THE HOI'PBLE THE ACTING CIIIEF JUSTICE SUJOY PAUL AND THE HON'BLE SMT. JUSTICE RENUKAYARA WRIT PEf,ITION Nos.3581, Q73.3584 and 6034 of 2o25 COMMON ORDER: (Per the Hon'ble the Acting Chief Justice Sujog Paul) Sri Shaik Jeelani Basha, learned counsel for the petitioners and Sri Swaroop Oorilla, learned Special Government Pleader appearing lor State Tax.
2. Regard being had to the similitude of the questions involved, on the joint request of learned counsel for the parties, the matters are analogously heard and decided by this common order.
3. Learned counsel for the petitioners and learned Special Government Pleader for State Tax submitted that since the impugned notice(s) and order(s) are unsigned, the same may be set aside in view of the common order passed in W.P.No.211O1 of 2024 & batch, dated 28.02.2025.
4. Accordingly, the impugned notice(s) and order(s) in these Writ Petitions are set aside. Liberty is reserved to the respondents to issue fresh show cause notice(s)/ order(s) in accordance with I I l 2 law and, for undertaking this exercise afresh, the limitation will not be a hurdle for the respondents. 5 The Writ Petitions are disposed of without expressing any oprnion on the merits of the case. No costs. Interlocutory applications, if any pending, shall also stand clo sed. { To, SD/- P. CH NAGA BHUSHAMBA DEPUTY REGISTRAR //TRUE COPY// SECTI OFFICER
1. The Assistant Commissioner (ST), M.G.Road-S.D.Road Circle, Begumpet Division, Hyderabad.
2. T.he Principal Secretary, Revenue (CT) Depa(ment, Telangana Secretariat, Hyderabad.
3. The Secretary, Department of Revenue, Ivlinistry of Finance, New Delhi. 4. The Chairman, Central Board of lndirect Taxes and Customs, Mrnistrv of Finance, Department of Revenue, North Block, Central Secretariat, Niew Delhi - 100 001. (2nd to 4th Respondents are not necessary parties)
5. One CC to SRl. SHAIK JEELANI BASHA Advocate IOPUCI 6. One CC to SRI DoMlNlC FERNANDES SC FOR CB|C IOPUC] 7. One CC to SRl. PULIMAMIDI SHASHTDHAR REDDY SC FOR CENTRAL GOW [OPUC] B. One CC to Sri Gadi Praveen Kumar, Deputy Solicitor General of lndia [OpUC] 9. Two CCs to GP for STATE TAX, High Court for the State of Telangana at Hyderabad. [OUT] '10. Two CD Copies KKS KKS t.r HIGH COURT HAC,J & RY,J DATED:21 10412025 ,-a ;- I t 5l^ t o 2E o U O3 EEF o + ar:: ''. I,i:,. COMMON ORDER WP.Nos.3581,4073,3584 and 6034 of 2025 DISPOSING THE WRIT PETITIONS WITHOUT COSTS l+( t ?- v {