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    <title>2024 (9) TMI 902 - MADRAS HIGH COURT</title>
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    <description>An assessment order demanding tax on alleged wrongful input tax credit was set aside because the affected party had not been given a fair and reasonable opportunity to contest the demand on merits. Although notice and show cause proceedings had been initiated, the court noted that a fresh reply and personal hearing were necessary, especially where part of the disputed demand had already been recovered from the bank account. The matter was remanded for fresh adjudication after permitting a reply and hearing.</description>
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      <description>An assessment order demanding tax on alleged wrongful input tax credit was set aside because the affected party had not been given a fair and reasonable opportunity to contest the demand on merits. Although notice and show cause proceedings had been initiated, the court noted that a fresh reply and personal hearing were necessary, especially where part of the disputed demand had already been recovered from the bank account. The matter was remanded for fresh adjudication after permitting a reply and hearing.</description>
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