Rajnish Kumar v. Commissioner of Cgst and Central Excise
Case brief
What is this about?
Patna High Court, Civil Writ Jurisdiction Case No.1338 of 2026, decided 16-07-2026 (Rajeev Ranjan Prasad, J., author; Sunil Dutta Mishra, J., member). Keywords: Section 75(4) CGST Act 2017 personal hearing; adverse order; Section 74 CGST show cause notice; Form GST DRC-01; Form GST DRC-07; recovery from electronic credit ledger; Section 107 CGST/BGST Act appeal and condonation of delay; refund of recovered amount; Tata Projects Limited Vs. Union of India, C.W.J.C. No. 7830 of 2024 (Patna HC) distinguished; Sita Pandey v. State of Bihar, CWJC 5407 of 2023 (Patna HC) referred. Disposition: writ application disposed of (withdrawn with liberty to appeal within 30 days; interregnum from 27.01.2026 excluded from limitation); no refund of recovered tax directed.
What did the court decide?
Writ application disposed of (permitted to be withdrawn) with liberty to file an appeal before the Appellate Authority under Section 107 of the CGST/BGST Act within thirty days; the period from 27.01.2026 till the date of the order to be excluded while counting limitation and the further one-month condonable period; all contentions except the one already decided by the Court left open before the Appellate Authority; no direction for refund of the recovered amount.