M/S SHAH AND SHAHI FOREIGN TRADE (OPC) PRIVATE LIMITED v. The Deputy Assistant Commissioner-I (ST),
WP/13451/2026 · 2026-05-05
R Raghunandan Rao, T C D Sekhar
body2026
DailyLaw.ai
[ 2026 DAILYLAW 2229 (AP) · dailylaw.ai ]
DailyLaw.ai
[ 2026 DAILYLAW 2229 (AP) · dailylaw.ai ]
Judgment text
Extracted from the PDF above. The PDF is authoritative.
APHC010249662026
IN THE HIGH COURT OF ANDHRA PRADESH AT AMARAVATI (Special Original Jurisdiction) [3529] WEDNESDAY, THE SIXTH DAY OF MAY TWO THOUSAND AND TWENTY SIX PRESENT THE HONOURABLE SRI JUSTICE R RAGHUNANDAN RAO THE HONOURABLE SRI JUSTICE T.C.D.SEKHAR WRIT PETITION NO: 13451/2026 Between:
1. M/S SHAH AND SHAHI FOREIGN TRADE (OPC) PRIVATE LIMITED, A COMPANY INCORPORATED UNDER THE COMPANIES ACT, 2013 GSTI D-37ABFCS8355K1 ZP REP. BY ITS DIRECTOR, MR SYED HYDER SHAH,
1/50, JAMIYA MASJID STREET, MAHAL, ANNAMAYYA -517235, ANDHRA PRADESH
...PETITIONER AND
1. THE DEPUTY ASSISTANT COMMISSIONERI ST, MADANAPALLE CIRCLE, KADAPA DIVISION, 15/15, G.K.REDDY COMPLEX, BEHIND MAMATHA KALYANA MANDAPAM, MADANAPALLY, ANNAMAYYA DISTRICT, ANDHRA PRADESH-517325. 2. THE ASSISTANT COMMISSIONER ST, MADANAPALLE CIRCLE, KADAPA DIVISION, 15/15, G.K.REDD COMPLEX, BEHIND MAMATHA KALYANA MANDAPAM, MADANAPALLY, ANR AMAYYA DISTRICT, ANDHRA PRADESH-517325
3. THE STATE OF ANDHRA PRADESH, REP. BY ITS PRINCIPAL SECRETARY, REVENUE CT-II DEPARTMENT, SECRETARIAT, VELAGAPUDI-522503, AMARAVATI, GUNTUR DISTRICT, ANDHRA PRADESH
4. THE UNION OF INDIA, REP. BY ITS SECRETRY (FINANCE) MINISTRY OF FINANCE, NORTH BLOCK, NEW DELHI 1100011
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5.
THE BRANCH MANAGER, HDFC BANK LTD, 48-14-9, POTLURI CASTLE, 1ST FLOOR, DWARAKANAGAR, VISAKHAPATNAM- 530016
...RESPONDENT(S): Petition under Article 226 of the Constitution of India praying that in the circumstances stated in the affidavit filed therewith, the High Court may be pleased topleased to issue an appropriate Writ Order or Direction more particularly in the nature of Mandamus declaring the action of the 1St and 2nd Respondents in not withdrawing the impugned orders in Form ASMT-13, dated 20.06.2024/21.06.2024 (Annexure P-1) for the tax period April, 2024, under the Act, 2017 even though the Petitioner had filed the returns in Form GSTR-3B for the said month after paying applicable taxes, late fees and interest, as illegal, arbitrary, in violation of principles of natural justice, contrary to Section 62(2) of the Act read with Rule 100(1) of the Rules, 2017 and direct to revoke the garnishee notice issued to third person (HDFC Bank) dated 28.11.2025 being (Annexure P4) and set aside the same, and pass IA NO: 1 OF 2026 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 pleased to grant stay of all further proceedings pursuant to the impugned GST orders in ASMT-13, dated 20.06.2024/21.06.2024 (Annexure P-1) for the tax period March, 2024, passed by the 1st Respondent under Section 62 of the Act as in contravention of Section 62(2) of the Act, pending disposal of the Writ Petition, as otherwise the Petitioner will be put to severe loss and hardship AND PASS Counsel for the Petitioner:
1. C SANJEEVA RAO Counsel for the Respondent(S):
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The Court made the following Order: (per Hon’ble Sri Justice R. Raghunandan Rao)
Heard Sri C. Sanjeeva Rao, the learned counsel appearing for the petitioner and the learned Government Pleader for Commercial Tax, appearing for the respondents. 2.
The petitioner had suffered an order of assessment, dated 20.06.2024, and the summary of the order, in FORM GST DRC –07, dated 21.06.2024, for the tax period, April-2024, passed under Section 62 of the Goods and Services Tax Act, 2017 (hereinafter referred to as ‘the Act’). After the said orders had been passed, the petitioner had filed his returns, on 02.12.2024, along with tax, interest and late fee. 3. The petitioner has now approached this Court, by way of this Writ Petition, being aggrieved by the recovery sought to be made, on the basis of the aforesaid order, dated 20.06.2024. 4. Sri C. Sanjeeva Rao, the learned counsel appearing for the petitioner, would contend that the order of assessment passed, on 20.06.2024, to be deemed to have been withdrawn, on account of Section 62(2) of the Act, which states that any order passed under Section 62 of the Act, would be deemed to have been withdrawn, if the returns, for the said period have been filed, in accordance with Law, under Section 62 of the Act. 5. The learned Government Pleader for Commercial Taxes, appearing for the respondents, on instructions, submits that, the petitioner had
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infact filed the returns, on 02.12.2024, and no dues are pending, on account of the said returns. 6. In view of the deeming provision, under Section 62(2) of the Act, this Writ Petition is disposed of, with a declaration that the order of assessment, dated 20.06.2024 and the summary of the order, dated 21.06.2024, are deemed to have been withdrawn, and that, the respondents cannot seek to recover any amounts raised, under the said orders. 7. It may also be observed that consequent to this order, any order of attachment to Garnishee would also stand set aside. There shall be no order as to costs. As a sequel, pending miscellaneous applications, if any, shall stand closed. _______________________ R. RAGHUNANDAN RAO, J
_________________ T.C.D. SEKHAR, J
Date:- 06.05.2026 BSM
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THE HON’BLE SRI JUSTICE R. RAGHUNANDAN RAO
AND
THE HON'BLE SRI JUSTICE T.C.D.SEKHAR
WRIT PETITION No.13451 of 2026 (per Hon’ble Sri Justice R. Raghunandan Rao)
06.05.2026
BSM