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Generate professional replies to Show Cause Notices, assessment orders, audit objections, and other legal communications using TaxTMI's AI Drafter.

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Limitation for filing application for refund computable from the date of conciliation agreement crystallising the excess-tax quantum

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....imitation for filing application for refund computable from the date of conciliation agreement crystallising the excess-tax quantum<br>By: - Bimal jain<br>Goods and Services Tax - GST<br>Dated:- 14-7-2025<br>The Hon'ble Delhi High Court in the case of Delhi Metro Rail Corporation Ltd Versus The Commissioner (Appeals-II) & Anr. - 2025 (5) TMI 2084 - DELHI HIGH COURT &nbsp;held that where excess GST....

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.... becomes ascertainable only after a conciliation settlement having the force of a decree, the limitation for refund runs from the date of such settlement under Explanation&#8239;2(d) to Section&#8239;54; hence, rejection of DMRC's refund claim as time&#8209;barred was unsustainable. Facts: Delhi Metro Rail Corporation Ltd. ("DMRC") ("the&#8239;Petitioner") entered a rental agreement dated May 8,....

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....&#8239;2015, with M/s Kamal Sponge Steel & Power Ltd. ("KSSPL"). Disputes over lease rentals were referred to conciliation, and a conciliation agreement dated&#8239;August 03,&#8239;2021, retrospectively reduced KSSPL's liability by 40%. This resulted in an excess payment of GST by DMRC amounting to Rs.83,36,182 for the tax period July 2017 to March 2019, based on the originally agreed transaction....

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.... value prior to conciliation. The Commissioner (Appeals) & Anr. ("the&#8239;Respondents") rejected DMRC's refund applications dated&#8239;January&#8239;17, 2021, and&#8239;March 21,&#8239;2021, treating them as time&#8209;barred by Limitation. The Department asserted that limitation began in 2017 when the tax was paid, and that DMRC should have issued credit notes under Section&#8239;34. The Pet....

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....itioner contended that the exact refundable amount became ascertainable only upon the conciliation settlement, which, being equivalent to a judgment/decree under Section&#8239;73 of the Arbitration & Conciliation Act, brings the claim within Explanation&#8239;2(d) to Section&#8239;54 of the Central Goods and Services Tax Act, 2017 ("CGST Act"). The Respondents insisted that Explanation&#8239;2(h) ....

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....was applied for calculating Limitation period. Aggrieved, DMRC filed a writ petition under Article&#8239;226 challenging the orders dated&#8239;March&#8239;03, 2021, and&#8239;May 18,&#8239;2021, rejecting its refund claims. Issue: Whether the refund claims filed by DMRC were within the limitation period prescribed under Section&#8239;54 of the CGST Act, and specifically, whether the "relevant d....

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....ate" fell under Explanation&#8239;2(d) or Explanation&#8239;2(h)? Held: The Hon'ble Delhi High Court in Delhi Metro Rail Corporation Ltd Versus The Commissioner (Appeals-II) & Anr. - 2025 (5) TMI 2084 - DELHI HIGH COURT &nbsp;held as under: * Observed that, under Section&#8239;89 CPC, conciliation settlements are recognised; the conciliation agreement here, executed on&#8239;August&#8239;3, 20....

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....21, is legally equivalent to an arbitral award/decree under Section&#8239;36 of the Arbitration & Conciliation Act. * Noted that, Explanation&#8239;2(d) to Section&#8239;54 applies when tax becomes refundable "as a consequence of judgment, decree, order or direction" of a court or tribunal and Explanation&#8239;2(h) is applicable only when all the other explanations don't and is merely residual.....

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.... * Held that, the excess GST became ascertainable only upon final settlement by the Conciliation award, making that date the "relevant date" under Explanation&#8239;2(d). Refund applications filed on&#8239;January&#8239;17, 2021, and&#8239;March 21,&#8239;2021, were therefore well within the statutory two&#8209;year period. * Further set aside the impugned orders dated March&#8239;03, 2021 and....

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.... May&#8239;18, 2021 rejecting the refunds and directed the Department to process and credit the refund of Rs.83,36,182 with applicable interest to DMRC within one month. &nbsp;(Author can be reached at [email protected])<br> Scholarly articles for knowledge sharing by authors, experts, professionals ....