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    <title>Writ dismissed as premature; petitioner must file detailed reply with documents within 30 days before tax authority examines issues</title>
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    <description>HC dismissed the writ petition as premature, finding the petitioner&#039;s challenge to the departmental show-cause notice unsuited to judicial adjudication absent an administrative reply and supporting documentary evidence. The court held that factual and taxability issues concerning the overseas construction contract and place-of-supply determinations are for the Assessing Officer to examine after receipt of a detailed response; accordingly the petitioner was granted liberty to file a comprehensive reply with all supporting documents in relation to the impugned show-cause notice dated 22.07.2024. The petition is dismissed, with the petitioner directed to submit its reply within 30 days of receipt of the order.</description>
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    <pubDate>Fri, 29 Aug 2025 08:56:29 +0530</pubDate>
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      <title>Writ dismissed as premature; petitioner must file detailed reply with documents within 30 days before tax authority examines issues</title>
      <link>https://www.taxtmi.com/highlights?id=92058</link>
      <description>HC dismissed the writ petition as premature, finding the petitioner&#039;s challenge to the departmental show-cause notice unsuited to judicial adjudication absent an administrative reply and supporting documentary evidence. The court held that factual and taxability issues concerning the overseas construction contract and place-of-supply determinations are for the Assessing Officer to examine after receipt of a detailed response; accordingly the petitioner was granted liberty to file a comprehensive reply with all supporting documents in relation to the impugned show-cause notice dated 22.07.2024. The petition is dismissed, with the petitioner directed to submit its reply within 30 days of receipt of the order.</description>
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      <pubDate>Fri, 29 Aug 2025 08:56:29 +0530</pubDate>
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