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Issues: Whether, after constitution of the GST Appellate Tribunal, the writ petition should be disposed of by permitting the petitioner to avail the appellate remedy before the Tribunal, and whether the pre-deposit already directed in writ proceedings should be treated as compliance with the statutory pre-deposit requirement.
Outcome: The petitioner was permitted to file an appeal before the GST Appellate Tribunal within the time specified in the order, with the appeal to be entertained without objection on limitation if filed within that period, and the amount already deposited pursuant to the writ proceedings to be treated as compliance of the statutory pre-deposit requirement upon production of the requisite proof.