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    <title>2020 (2) TMI 123 - BOMBAY HIGH COURT</title>
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    <description>Where sales tax liability is still under a pending statutory enquiry, protective notices for recovery and a related direction restraining issuance of a no-objection certificate will not ordinarily justify writ interference. The respondents stated that the petitioner&#039;s liability would be examined after giving an opportunity to object, and the Court treated the impugned communications as interim measures rather than final recovery action. As the question of non-recovery and responsibility remained to be determined in the enquiry, the challenge was not entertained and the parties were left to work out their rights in that forum.</description>
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    <pubDate>Thu, 16 Jan 2020 00:00:00 +0530</pubDate>
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      <link>https://www.taxtmi.com/caselaws?id=391679</link>
      <description>Where sales tax liability is still under a pending statutory enquiry, protective notices for recovery and a related direction restraining issuance of a no-objection certificate will not ordinarily justify writ interference. The respondents stated that the petitioner&#039;s liability would be examined after giving an opportunity to object, and the Court treated the impugned communications as interim measures rather than final recovery action. As the question of non-recovery and responsibility remained to be determined in the enquiry, the challenge was not entertained and the parties were left to work out their rights in that forum.</description>
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      <pubDate>Thu, 16 Jan 2020 00:00:00 +0530</pubDate>
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