Shashi Ranjan Kumar v. Union of India
Case brief
What is this about?
Non-constitution of GST Appellate Tribunal; Bihar Goods and Services Tax Act; Section 112(8) and (9) stay of recovery; Section 107(6) pre-deposit; Section 172 removal of difficulties notification Order No. 09/2019-State Tax S.O. 399 dated 11.12.2019; Section 109 constitution of Tribunal; 20% deposit of disputed tax; deemed stay of recovery; release of bank account attachment; appeal to be filed on constitution of Tribunal; liberty to revenue authorities; relied on SAJ Food Products Pvt. Ltd. v. State of Bihar, C.W.J.C. No. 15465 of 2022; Article 226 writ disposed of; Patna High Court; decision dated 08-04-2024.
What did the court decide?
Writ petition disposed of with directions: upon deposit of 20% of the remaining tax in dispute (over and above, but accounting for, deposits made under Section 107(6)), the petitioner is extended the statutory stay under Section 112(9) — recovery of the balance and steps taken are deemed stayed, and any attachment of the petitioner's bank account pursuant to the demand is to be released; the petitioner must file the appeal under Section 112 once the Tribunal is constituted and functional, failing which the authorities are at liberty to proceed in accordance with law.