Tarannum Arshad Syed Proprietor of Benzayan Fuel and Lubes Thr. C/a. Mohd. Khalid. F. Kadr v. the Value Added Tax Officer Vat Department and Ors.
Case brief
What is this about?
VAT recovery attachment, Silvassa; flat 20% assessment on entire turnover versus differential rates (oil 12.5%, diesel 15%, petrol 20%); rectification application pending since 2018 unheard for want of “C” Form details and audit reports (FY 2013-14 to 2015-16); direction to Respondent Authorities to hear and decide rectification application time-bound (hearing 30.01.2025); stay of attachment notice dated 28.12.2023 and proposed auction sale refused; Rs. 50,00,000/- deposit held paltry against Rs. 9.26 crore arrears; remedies per order dated 09.01.2018 in W.P. No. 13104 of 2017 preserved; writ petition disposed of, no costs.
What did the court decide?
Respondent Authorities directed to hear and decide the Rectification Application in a time bound manner, with the Petitioner to remain present on 30th January 2025; liberty to reject the application or pass appropriate order if called documents are not furnished; no stay granted to the attachment notice or the proposed sale of the attached property; remedies under the order dated 9th January 2018 preserved; no order as to costs.