M/s Matheson Bosanquet Enterprises Private Limited v. The State Tax Officer
WP/843/2025 · 2025-01-10
Mohammed Shaffiq
Transfer Petitionbody2025
DailyLaw.ai
[ 2025 DAILYLAW 12641 (MAD) · dailylaw.ai ]
DailyLaw.ai
[ 2025 DAILYLAW 12641 (MAD) · dailylaw.ai ]
Judgment text
Extracted from the PDF above. The PDF is authoritative.
W.P. No.843 of 2025 IN THE HIGH COURT OF JUDICATURE AT MADRAS DATED : 10.01.2025 CORAM THE HONOURABLE MR.JUSTICE MOHAMMED SHAFFIQ W.P. No.843 of 2025 and W.M.P. Nos.1019 and 1020 of 2025 M/s.Matheson Bosanquet Enterprises Private Limited, Post Box No.1, Spring Field Post, Coonoor-643 104, Represented by its Authorised Signatory, Mr.Benjamin Thangaraj
... Petitioner Vs. 1.The State Tax Officer, Coonor Assessment Circle, Nilgiris, Tamil Nadu. 2.The Deputy Tax Officer – 1(ST), Coonor Assessment Circle, Uthagamangalam, Tamil Nadu. 3.Assistant Commissioner (ST), Coonoor Assessment Circle, Uthagamandalam, Tamil Nadu.
... Respondents PRAYER: Writ Petition filed under Article 226 of the Constitution of India, praying to issue a Writ of Certiorari calling for the records of the 1st Respondent from
proceedings
in
the
demand
order
passed
in GSTIN:33AABCM9747J1Z5/2018-19 dated 01.04.2024 and the consequential 1/6 https://www.mhc.tn.gov.in/judis
W.P. No.843 of 2025 DRC-07 order in Reference No:ZD3304240041335 dated 01.04.2024 and quash the same. For Petitioner : M/s.G.Dhanamadhri for Agam Legal Advocates For Respondents : Mr.C.Harsha Raj Additional Government Pleader
ORDER The present writ petition is filed challenging the impugned order passed by the respondent dated 01.04.2024 relating to the assessment year 2018-19. 2. It is submitted by the learned counsel for the petitioner that the petitioner is engaged in the business of growing and manufacturing tea and is registered under the Goods and Services Tax Act, 2017. During the relevant period 2018-19, the petitioner filed its returns and paid the appropriate taxes. However, on scrutiny of the petitioner's returns, it was noticed that the petitioner has wrongly claimed ITC in respect of motor vehicles. 3. It is submitted by the learned counsel for the petitioner that a notice in ASMT-10 was issued on 19.09.2023 and another notice in DRC-01 was issued on 20.11.2023 followed by reminder notices dated 02.12.2023, 03.02.2024 and
16.02.2024. However, the petitioner had neither filed its reply nor availed the opportunity for a personal hearing. It is submitted by the learned counsel for the 2/6 https://www.mhc.tn.gov.in/judis
W.P. No.843 of 2025 petitioner that if the petitioner is provided with an opportunity, they would be able to explain the alleged discrepancies. 4. The learned counsel for the petitioner would place reliance upon the recent judgment of this Court in the case of M/s.K.Balakrishnan, Balu Cables vs. O/o. the Assistant Commissioner of GST & Central Excise in W.P.(MD)No.11924 of 2024 dated 10.06.2024, to submit that this court has remanded the matter back in similar circumstances subject to payment of 25% of the disputed taxes. 5. It is further submitted by the learned counsel for the petitioner that they have already remitted Rs.17,875/- and her only request is that the same may be adjusted towards the 25% of the disputed tax. It is submitted that the petitioner may be granted an opportunity before the adjudicating authority to put forth their objections to the proposal, to which the learned Additional Government Pleader appearing for the respondent does not have any serious objection. 6. By consent of both parties, the writ petition stands disposed of on the following terms: a) The impugned order dated 01.04.2024 is set aside. 3/6 https://www.mhc.tn.gov.in/judis
W.P. No.843 of 2025 b) The petitioner shall deposit 25% of the disputed taxes as admitted by the learned counsel for the petitioner and the respondent, within a period of four weeks from the date of receipt of a copy of this order.
c) If any amount has been recovered or paid out of the disputed taxes, including by way of pre-deposit in appeal, the same would be reduced/adjusted, from/towards the 25% of disputed taxes directed to be paid. The assessing authority shall then intimate the balance amount out of 25 % of disputed taxes to be paid, if any, within a period of one week from the date of receipt of a copy of this order. The petitioner shall deposit such remaining sum within a period of three weeks from such intimation. d) The entire exercise of verification of payment, if any, intimation of the balance sums, if any, to be paid for compliance with the direction of payment of 25% of the disputed taxes, after deducting the sums already paid and payment by the petitioner of the balance amount, if any, on intimation in compliance with the above direction shall be completed within a period of four weeks from the date of receipt of copy of this order. e) Failure to comply with the above condition viz., payment of 25% of disputed taxes within the stipulated period i.e., four weeks from the date of receipt of a copy of this order shall result in restoration of the impugned order. 4/6 https://www.mhc.tn.gov.in/judis
W.P. No.843 of 2025 f) If there is any recovery by way of attachment of Bank account or garnishee proceedings, the same shall be lifted /withdrawn on complying with the above condition viz., payment of 25 % of the disputed taxes. g) On complying with the above condition, the impugned order of assessment shall be treated as show cause notice and the petitioner shall submit its objections within a period of four (4) weeks from the date of receipt of a copy of this order along with supporting documents/material.
If any such objections are filed, the same shall be considered by the respondent and orders shall be passed in accordance with law after affording a reasonable opportunity of hearing to the petitioner. It is made clear that if the above conditions viz., 25% of disputed taxes is not complied or objections are not filed within the stipulated period, four weeks respectively from the date of receipt of a copy of this order, the impugned order of assessment shall stand restored. 7. There shall be no order as to costs. Consequently, connected miscellaneous petitions are closed. 10.01.2025
Speaking (or) Non Speaking Order Index : Yes/ No Neutral Citation: Yes/No mka 5/6 https://www.mhc.tn.gov.in/judis
W.P. No.843 of 2025 MOHAMMED SHAFFIQ, J. mka To: 1.The State Tax Officer, Coonor Assessment Circle, Nilgiris, Tamil Nadu. 2.The Deputy Tax Officer – 1(ST), Coonor Assessment Circle, Uthagamangalam, Tamil Nadu. 3.Assistant Commissioner (ST), Coonoor Assessment Circle, Uthagamandalam, Tamil Nadu. W.P. No.843 of 2025 10.01.2025 6/6 https://www.mhc.tn.gov.in/judis