IN THE HIGH COURT OF DELHI
Manmohan, Sudhir Kumar Jain, JJ.
Pashupati Properties Estate Private Limited - Appellant
Versus
Commissioner of Central Taxes GST Delhi, (East) - Respondent
W.P.(C) 3624 of 2022 & C.M. Nos. 10740-10741 of 2022
Decided On : 08-03-2022
| Table of Content |
|---|
| 1. challenge to provisional attachment order (Para 1) |
| 2. no fresh orders or notices issued post-attachment (Para 2 , 3) |
| 3. provisional attachment order ineffective after one year (Para 4) |
| 4. disposal of writ petition with directions (Para 5) |
JUDGMENT
Manmohan, J. (Oral)--Present writ petition has been filed challenging the letter dated 07th December, 2020 issued under Section 83 of the CGST Act, 2017 whereby the Respondent has directed the Bankers of the Petitioner to provisionally attach immovable property No.6, The Greens, Rajokari, Delhi-110038 in the name of the Petitioner. Petitioner also seeks directions to the Respondent to release/de-freeze the immovable property of the Petitioner that was provisionally attached vide the impugned letter.
2. On the last date of hearing, learned counsel for the Respondent had sought time to obtain instructions.
3. Today Mr.Harpreet Singh, learned standing counsel for the Respondent states that after December, 2020, no fresh attachment order has been issued. He further clarifies that no show cause notice under Section 74 of the CGST Act has been issued to the Petitioner till date.
4. Admittedly, after the issuance of the impugned letter dated 07th December, 2020, no fresh attachment order in Form GST DRC-22 has been issued. According to Section 83(2) of the CGST Act, every provisional attachment order ceases to have effect after the expiry of a period of one year from the date the order was passed under Section 83(1) of the CGST Act. Consequently, the impugned provisional attachment order/letter is no longer effective. Accordingly, this Court directs the Respondent to defreeze the bank accounts and release the immovable properties of the Petitioner not later than three days from today.
5. With the aforesaid directions, the present writ petition along with pending applications stand disposed of.
Provisional attachment under Section 83 of the CGST Act ceases after one year unless renewed, rendering ineffective any unrenewed attachment orders.
Section 83(2) of the CGST Act, which governs the ceasing of effect of provisional attachment orders after one year, was the central legal principle established in the judgment.
Provisional attachment of bank accounts under the CGST Act ceases to be valid after one year unless renewed, emphasizing the necessity for adherence to legal procedures.
Provisional attachment orders under the CGST act cease to have effect after one year, and no fresh attachment order can be issued thereafter.
Provisional attachment of bank accounts under Section 83(2) of the CGST Act ceases after one year unless a fresh order is issued.
The main legal point established in the judgment is that the provisional attachment order of a bank account ceases to have effect after one year from the date of issuance under Section 83 of the CGST....
Provisional attachment orders under Section 83 of the CGST Act cease after one year unless proceedings are pending; failure to comply undermines enforcement actions.
Provisional attachment orders under Section 83 of the CGST/KGST Act automatically cease to have effect after one year, with no scope for renewal or reissuance by tax authorities.
Provisional attachment orders under Section 83(2) of the CGST Act cease to be effective after one year, necessitating the release of affected bank accounts.
The main legal point established in the judgment is that the provisional attachment under Section 83 of the CGST Act ceases to have effect after the expiry of one year from the date of the order, and....
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