M/S LAKSHMI VENKATESHWARA TRADERS MS SCRAP, v. THE DEPUTY COMMISSIONER OF CENTRAL TAX,
WP/22726/2025 · 2025-12-17
S R Krishna Kumar
body2025
DailyLaw.ai
[ 2025 DAILYLAW 77165 (KAR) · dailylaw.ai ]
DailyLaw.ai
[ 2025 DAILYLAW 77165 (KAR) · dailylaw.ai ]
Judgment text
Extracted from the PDF above. The PDF is authoritative.
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HC-KAR NC: 2025:KHC:54572 WP No. 22726 of 2025
IN THE HIGH COURT OF KARNATAKA AT BENGALURU DATED THIS THE 17TH DAY OF DECEMBER, 2025 BEFORE THE HON'BLE MR. JUSTICE S.R.KRISHNA KUMAR WRIT PETITION NO. 22726 OF 2025 (T-RES) BETWEEN:
M/S LAKSHMI VENKATESHWARA TRADERS MS SCRAP, REP. BY ITS PROPRIETOR SRI MADHAIYAN CHINNAPPIYAN NO.03, N B V COMPLEX, OPP. MORE MEGHA STORE, MARATHAHALLI RING ROAD, MAHADEVAPURA POST, BENGALURU – 560 048. …PETITIONER (BY SRI. SHREEHARI KUTSA, ADVOCATE)
AND:
1.
THE DEPUTY COMMISSIONER OF CENTRAL TAX, GST COMMISSIONERATE, BENGALURU EAST, TRAFFIC AND TRANSIT MANAGEMENT CENTRE, BMTC BUS STAND, HAL AIRPORT ROAD, DOMMALURU, BENGALURU – 560 071
2.
PRINCIPAL COMMISSIONER OF CENTRAL TAX, GST COMMISSIONERATE, BENGALURU EAST, TRAFFIC AND TRANSIT MANAGEMENT CENTRE, BMTC BUS STAND, HAL AIRPORT ROAD, DOMMALURU, BENGALURU – 560 071. …RESPONDENTS (BY SRI. ARAVIND V. CHAVAN, ADVOCATE)
THIS W.P. IS FILED UNDER ARTICLES 226 AND 227 OF THE CONSTITUTION OF INDIA PRAYING TO QUASHING THE SHOW CAUSE NOTICE DATED 31.03.2022 ISSUED UNDER SECTION 74(1) OF THE CGST ACT, BEARING NO. 41/2022-DC-BIR-EAST, ALONG WITH THE SUMMARY OF SHOW CAUSE NOTICE IN FORM GST
Digitally signed by CHANDANA B M Location: High Court of Karnataka
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HC-KAR NC: 2025:KHC:54572 WP No. 22726 of 2025
DRC-01 BEARING REFERENCE NO. ZD290524098714U, BOTH ISSUED BY RESPONDENT NO.1 AND ENCLOSED AS ANNEXURE-F AND ANNEXURE-F1, RESPECTIVELY.
THIS PETITION, COMING ON FOR PRELIMINARY HEARING IN ‘B’ GROUP, THIS DAY, ORDER WAS MADE THEREIN AS UNDER:
CORAM: HON'BLE MR. JUSTICE S.R.KRISHNA KUMAR
ORAL ORDER In this petition, petitioner seeks the following reliefs: A. Issue a writ of Certiorari or any other appropriate writ, order, or direction, quashing the Show Cause Notice dated 31.03.2022 issued under Section 74(1) of the CGST Act, bearing No. 41/2022-DC-Bir-East, along with the summary of Show Cause Notice in Form GST DRC-01 bearing reference No. ZD290524098714U, both issued by Respondent No.1 and enclosed as Annexure-F and Annexure-F1, respectively; B. Pass such other order(s) or direction(s) as this Hon'ble Court may deem fit and proper in the interest of justice and equity.
2. Though several contentions have been urged by both sides in support of their respective claims, the issue in controversy between the parties is directly and squarely covered by the
judgment of this Court in the case of
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HC-KAR NC: 2025:KHC:54572 WP No. 22726 of 2025
M/S Pramur Homes And Shelters Vs. The Union of India and Ors. in WP No.33081/2025 dated 11.12.2025. 3. In the said judgment, this Court formulated two points for consideration, which reads as under: (i) Whether clubbing/consolidation/bunching/ combining of multiple tax periods/financial years in a Single/Composite Show cause notice issued under Section 73 / 74 of the CGST/ KGST Act , 2017 is permissible and valid in law? (ii) Whether the impugned Show cause notice dated 30.09.2025 issued by the 4th respondent to the petitioner for the tax periods/financial years from 2019-20 to 2023-24 under Section 74 of the CGST/ KGST Act, 2017 warrants interference by this Court in the present petition? 4. Issue No.1 was answered by this Court in favour of the petitioner by holding as under: Point No.(i) is accordingly answered in favour of the petitioner/tax payer/assessee by holding that clubbing/ consolidation/ bunching/ combining of multiple tax periods/financial years in a Solitary/Single/Composite Show cause notice issued
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HC-KAR NC: 2025:KHC:54572 WP No. 22726 of 2025
under Section 73/74 of the CGST/KGST Act is illegal, invalid, impermissible and without jurisdiction or authority of law and contrary to the provisions of the CGST/KGST Act. 5. So also point No.2 was also answered by this Court in favour of the petitioner by quashing the impugned Show Cause Notice by holding as under:
“Re: Point No.(ii);
9. While dealing with Point No. (i) supra, I have already come to the conclusion that clubbing / consolidation / bunching/ combining of multiple tax periods/financial years in a Solitary/Single/Composite Show cause notice issued under Section 73 / 74 of the CGST / KGST Act is illegal, invalid, impermissible and without jurisdiction or authority of law and contrary to the provisions of the CGST / KGST Act. In the instant case, a perusal of the impugned Show cause notice dated 30.09.2025 will indicate that the same encompasses and pertains to multiple tax periods/financial years, viz., from 2019-20 to 2023-24, which is impermissible in law and consequently, the impugned Show cause notice and all further proceedings pursuant thereto are also vitiated and deserve to be quashed reserving liberty to the
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HC-KAR NC: 2025:KHC:54572 WP No. 22726 of 2025
respondents to initiate any action/proceedings in accordance with law.
Point No.(ii) is also accordingly answered in favour of the petitioner/tax payer/assessee by holding that the impugned Show cause notice dated 30.09.2025 issued by the 4th respondent to the petitioner for the tax periods/financial years from 2019- 20 to 2023-24 under Section 74 of the CGST/KGST Act is illegal, invalid, impermissible, arbitrary and without jurisdiction or authority of law and contrary to the provisions of the CGST/KGST Act and the impugned show cause notice and all further proceedings, orders, notices pursuant thereto deserve to be quashed by reserving liberty in favour of the respondents to initiate proceedings in accordance with law. 10. In the result, I pass the following:
ORDER
(i) Petition is hereby allowed.
(ii) The impugned show-cause notice at Annexure-A dated 30.09.2025 issued by respondent No.4 and all further proceedings, orders, notices etc., pursuant thereto initiated/to be initiated by the respondents are hereby quashed.
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HC-KAR NC: 2025:KHC:54572 WP No. 22726 of 2025
(iii) The respondents are however reserved liberty to initiate appropriate proceedings in accordance with law and if such proceedings are initiated by the respondents, petitioner would be entitled to contest / defend the same in accordance with law.”
6. The issue in controversy involved in the present petition also relates to clubbing/consolidation/bunching/combining of multiple tax periods/financial years/block periods in a Single/Composite Show cause notice, which has already been held to be invalid and illegal by this Court in M/S Pramur Homes And Shelters’s case referred to Supra.
7. Under these circumstances, the impugned show cause notices both dated 31.03.2022 at Annexures- F and F1 passed by respondent No.1 deserve to be quashed.
8. In the result, I pass the following:
ORDER
(i) Petition is hereby allowed and disposed of in terms of M/S Pramur Homes And Shelters Vs. The Union of India and Ors. in WP No.33081/2025 dated 11.12.2025.
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HC-KAR NC: 2025:KHC:54572 WP No. 22726 of 2025
(ii) The impugned show cause notices both dated 31.03.2022 at Annexures- F and F1 passed by respondent No.1 and all further proceedings, orders, notices etc., pursuant thereto initiated/to be initiated by the respondents are hereby quashed.
(iii) The respondents are however reserved liberty to initiate appropriate proceedings in accordance with law and if such proceedings are initiated by the respondents, petitioner would be entitled to contest / defend the same in accordance with law.
Sd/- (S.R.KRISHNA KUMAR) JUDGE
MDS List No.: 3 Sl No.: 0