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    <title>Matters those deserve appeal under GST laws.</title>
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    <description>Appeals for orders from financial year 2024-25 onward are warranted where orders are issued under obsolete assessment provisions or without jurisdiction, administrative instructions are ignored, single SCNs cover multiple years except fraud, original orders are passed before the minimum statutory period, portal only service or denial of personal hearing occurred, pre deposit was wrongly required from cash ledger, head mismatch demands were raised despite tax payment, buyer liability was asserted despite bank channel payment, or delay condonation was improperly denied.</description>
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