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    <title>Premature writ challenge to ITC blockage notices deferred until replies are heard and factual issues are adjudicated</title>
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    <description>Writ challenges to show-cause and pre-intimation notices blocking input tax credit were held premature where the disputes turned on individual facts and the CGST Act and Rules provided a complete code. The Court declined to examine the merits of the proposed ITC action or the constitutional validity of Section 16(2)(c) at this stage, finding that such issues required case-specific adjudication after replies and objections were considered. Petitioners were permitted to respond to the notices, and the statutory authorities were directed to decide the matters in accordance with law, while keeping all contentions open.</description>
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    <pubDate>Thu, 09 Apr 2026 08:09:11 +0530</pubDate>
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      <title>Premature writ challenge to ITC blockage notices deferred until replies are heard and factual issues are adjudicated</title>
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      <description>Writ challenges to show-cause and pre-intimation notices blocking input tax credit were held premature where the disputes turned on individual facts and the CGST Act and Rules provided a complete code. The Court declined to examine the merits of the proposed ITC action or the constitutional validity of Section 16(2)(c) at this stage, finding that such issues required case-specific adjudication after replies and objections were considered. Petitioners were permitted to respond to the notices, and the statutory authorities were directed to decide the matters in accordance with law, while keeping all contentions open.</description>
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      <pubDate>Thu, 09 Apr 2026 08:09:11 +0530</pubDate>
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