Compounding of offences lacks an appeal remedy, requiring applicants to pursue relief by filing writ petitions. Compounding of offences under the Central Excise/indirect tax framework provides no statutory appeal against orders of the compounding authority; ... Summary
Compounding of offences lacks an appeal remedy, requiring applicants to pursue relief by filing writ petitions.
Compounding of offences under the Central Excise/indirect tax framework provides no statutory appeal against orders of the compounding authority; consequently, an aggrieved applicant must seek relief by filing a Writ Petition to obtain judicial review of the compounding order.
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