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2024 (10) TMI 1507

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....Mr.Rupesh Sharma For the Respondent: Mr. V.Prashanth Kiran, GA (T) COMMON ORDER The petitioner assails an assessment order dated 18.01.2024 in respect of two distinct assessment periods. Pursuant to an inspection conducted in early 2023, an intimation followed by a show cause notice was issued to the petitioner. Thereafter, the impugned assessment orders were issued. The petitioner assert....

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....tatutory remedy and should be directed to avail of such statutory remedy. In the event of interference, he submits that the petitioner should be put on terms. 4. On instructions, learned counsel for the petitioner agrees that the petitioner would remit 10% of the disputed tax demand as a condition for remand. 5. The documents on record indicate that the assessment orders were preceded by an ....

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....uashed subject to the condition that the petitioner remits 10% of the disputed tax demand in respect of each assessment period with in a maximum period of three weeks from the date of receipt of a copy of this order. The petitioner is also permitted to submit a reply to the show cause notice with in the aforementioned period. Subject to receipt of the petitioner's reply and upon being satisfie....