respect of sales to the petitioner is deposited. There is a meager demand of Rs. 4831/- as per the assessment under the VAT Act not in relation to the sales to the petitioner. By a letter dated 27th November 2018 of Shri Fenil Bharatbhai Shah, Ex-Director of Ardor International Private Limited., the petitioners have been informed that during the year 2013-14 M/s. Ardor International Pvt. Ltd. had sold goods to the petitioners amounting to Rs.219,43,23,453/-. These sales were recorded in the books of account of the company and duly reported in the returns regularly submitted by the company under the GVAT Act. The tax payable under the GVAT Act as per the returns of the company was also duly paid by the company. It is further stated that the company has been assessed for the year 2013-14 under the GVAT Act and as per the assessment order, the total dues against the company were Rs.68,36,74,990/-. A copy of the assessment order is also annexed along with the letter. It is further stated in the letter that almost the entire interState sales and total branch transfer transactions were of goods imported from outside the country. It is further stated in the letter that sales to Capital Traders are duly recorded in the books of account of M/s. Ardor International Limited and also assessed to tax in the assessment year 2013-14 passed under the GVAT Act. Though dues of Rs.68,36,74,990/- have been raised in the assessment order passed under the GVAT Act for the year 2013-14, they are not relating to the sales of Capital Traders.