Rayar Sundaramurthi, v. The Assistant Commissioner (St)
IN THE HIGH COURT OF JUDICATURE AT MADRAS
DATED : 23.01.2025
CORAM
THE HONOURABLE MR.JUSTICE MOHAMMED SHAFFIQ W.P. No.1594 of 2025 and W.M.P.No.1814 of 2025 Rayar Sundaramurthi, Proprietor of RMS construction, No.336/Y-4/1, Suriya Nagar, Hosur, Krishnagiri, Tamil Nadu 635 126.
... Petitioner Vs.
The Assistant Commissioner (ST), Hosur North I Assessment Circle, Commercial Tax Building, Hosur.
... Respondent PRAYER: Writ Petition filed under Article 226 of the Constitution of India praying to issue a Writ of Certiorarified Mandamus, to call for the records on the file of the respondent in Reference No.ZA330723027376M dated 06.07.2023 and to quash the same as illegal, arbitrary and direct the respondent to revoke the cancellation of petitioner, GSTN registration No.33CVUPS8378G2ZL within such time as may be directed this Court.
For Petitioner : Mr.M.Selvam For Respondent : Mr.G.Nanmaran Special Government Pleader 1/6
ORDER
By consent of both sides, this writ petition is taken up for final disposal at the stage of admission itself.
2. The present Writ Petition is filed challenging the order of the cancellation of the registration of the petitioner dated 06.07.2023 on the premise that the statutory returns has not been filed from March 2023 to June 2023, thereby invoking Section 29(2) of CGST Act.
3. At the outset, it is submitted by both the learned Counsel for the petitioner as well as the learned Special Government Pleader for the Respondent that the issue stands covered by a series of judgments, commencing with the decision in Tvl.Suguna Cutpiece Center Vs. Appellate Deputy Commissioner (ST) (GST) and others, wherein, under identical circumstances, this Court has directed the revocation of registration subject to conditions.
4. This Court has been consistently following the directions issued in Tvl.Suguna Cutpiece Center's case. The relevant portion of the order is extracted hereunder:
2/6
"229. In the light of the above discussion, these Writ Petitions are allowed subject to the following conditions: i. The petitioners are directed to file their returns for the period prior to the cancellation of registration, if such returns have not been already filed, together with tax defaulted which has not been paid prior to cancellation along with interest for such belated payment of tax and fine and fee fixed for belated filing of returns for the defaulted period under the provisions of the Act, within a period of forty five (45) days from the date of receipt of a copy of this order, if it has not been already paid.
ii. It is made clear that such payment of Tax, Interest, fine / fee and etc. shall not be allowed to be made or adjusted from and out of any Input Tax Credit which may be lying unutilized or unclaimed in the hands of these petitioners.
iii. If any Input Tax Credit has remained utilized, it shall not be utilised until it is scrutinized and approved by an appropriate or a competent officer of the Department.
iv. Only such approved Input Tax Credit shall be allowed for being utilized thereafter for discharging future tax liability under the Act and Rule.
v. The petitioners shall also pay GST and file the returns for the period subsequent to the cancellation of the registration by declaring the correct value of supplies and payment of GST shall also be in cash.
vi. If any Input Tax Credit was earned, it shall be allowed to 3/6
be utilised only after scrutinising and approving by the respondents or any other competent authority.
vii.The respondents may also impose such restrictions / limitation on petitioners as may be warranted to ensure that there is no undue passing of Input Tax Credit pending such exercise and to ensure that there is no violation or an attempt to do bill trading by taking advantage of this order.
viii.On payment of tax, penalty and uploading of returns, the registration shall stand revived forthwith.
ix. The respondents shall take suitable steps by instructing GST Network, New Delhi to make suitable changes in the architecture of the GST Web portal to allow these petitioners to file their returns and to pay the tax/penalty/fine. x. The above exercise shall be carried out by the respondents within a period of thirty (30) days from the date of receipt of a copy of this order.
xi. No cost.
xii. Consequently, connected Miscellaneous Petitions are closed."
5. In view thereof, the benefit extended by this Court vide its earlier order in Suguna Cutpiece Centre's case cited supra, may be extended to the petitioner. 4/6
6. Accordingly, this Writ Petition is disposed of on the above terms. No costs. Consequently, connected miscellaneous petition is closed. 23.01.2025 Speaking (or) Non Speaking Order Index : Yes/ No jd To The Assistant Commissioner (ST), Hosur North I Assessment Circle, Commercial Tax Building, Hosur.
5/6
MOHAMMED SHAFFIQ, J.
jd W.P. No.1594 of 2025 23.01.2025 6/6