M/S B B Hosagoudar vs. The Commercial Tax Officer

Original PDF →
WP/109283/2025HC KarnatakaGSTCNR KAHC02025065202504 December 2025Bench: M.NAGAPRASANNA5 pages
For Petitioner: SMT. AMRUTHA ADVOCATE FOR SRI. H. R. KAMBIYAVAR, ADVOCATE

No AI summary yet for this judgment.

Cause title — parties, addresses and appearances
- 1 - HC-KAR NC: 2025:KHC-D:17283 WP No. 109283 of 2025 IN THE HIGH COURT OF KARNATAKA,AT DHARWAD DATED THIS THE 4TH DAY OF DECEMBER, 2025 BEFORE THE HON'BLE MR. JUSTICE M.NAGAPRASANNA WRIT PETITION NO. 109283 OF 2025 (T-RES) BETWEEN: M/S B. B. HOSAGOUDAR WORKS CONTRACTOR, WARD NO. 05, H. NO. 4561, CHALUKYA NAGAR, 5TH CROSS, AT BADAMI 587201, DIST. BAGALKOTE-587101 AGED ABOUT 66 YEARS, GSTIN 29AAEPH5153M2ZE. …PETITIONER (BY SMT. AMRUTHA ADVOCATE FOR SRI. H. R. KAMBIYAVAR, ADVOCATE) AND: 1. THE COMMERCIAL TAX OFFICER, INFORCEMENT 1, AT JAMAKHANDI 587201, DIST. BAGALKOTE 587101 2. THE GOVERNMENT OF KARNATAKA THE JOINT COMMISSIONER OF COMMERCIAL TAXES APPEALS, NO.71, CLUB ROAD, BELAGAVI-590001. 3. THE STATE OF KARNATAKA REP. BY THE PRINCIPAL SECRETARY, FINANCE DEPARTMENT, GOVERNMENT OF KARNATAKA, BENGALURU 560001. 4. GOVERNMENT OF INDIA THROUGH ITS SECRETARY (REVENUE) MINISTRY OF FINANCE, DEPARTMENT OF REVENUE, NORTH BLOCK, NEW DELHI 110001. …RESPONDENTS VISHAL NINGAPPA PATTIHAL Digitally signed by VISHAL NINGAPPA PATTIHAL Location: High Court of Karnataka Dharwad Bench - 2 - HC-KAR NC: 2025:KHC-D:17283 WP No. 109283 of 2025 (BY SRI. T. HANUMAREDDY, AGA; SRI. M.B. KANAVI, ADVOATE FOR R4) THIS WRIT PETITION IS FILED UNDER ARTICLES 226 AND 227 OF THE CONSTITUTION OF INDIA PRAYING TO ISSUE WRIT OF CERTIORARI OR IN THE LIKE NATURE OF CERTIORARI QUASHING THE IMPUGNED ORDER BEARING APPEAL NO. GST-362 /2025-26, ARN NO. AD290725017031C, DTD. 03/11/2025, VIDE ANNEXURE-B PASSED BY RESPONDENT NO. 2. THIS WRIT PETITION, COMING ON FOR PRELIMINARY HEARING THIS DAY, ORDER WAS MADE THEREIN AS UNDER:

ORAL ORDER

(PER: THE HON'BLE MR. JUSTICE M.NAGAPRASANNA)

1.

The petitioner is before this court seeking the following prayer: a. “Issue Writ of Certiorari or in the like nature of Certiorari quashing the impugned order bearing Appeal No.GST-362 /2025-26, ARN No.AD290725017031c, DTD.03/11/2025, vide ANNEXURE-B passed by respondent No. 2. b. Pass such other Order or further Orders as this Hon’ble Court may deems fit in the facts and circumstances of this case, in the interest of justice and equity.”

2.

Heard Sri.Amrutha for Sri. H.R.Kambiyavar, learned counsel for the petitioner and Sri.T.Hanumareddy, learned counsel for respondent Nos.1 to 3 and Sri.M.B. Kanavi, learned counsel for respondent No.4. HC-KAR NC: 2025:KHC-D:17283

3.

Learned counsel appearing for the parties in unison would submit that, the issue in the lis stands covered by judgment rendered by Coordinate Bench of this Court in W.P. No.108239/2025, disposed off on 5th November 2025. The Coordinate Bench of this Court held as follows:

1.

The petitioner is before this Court seeking the following prayer: a. “Issue Writ of Certiorari or in the like nature of Certiorari quashing the impugned order bearing Appeal No.GST-462/2024-25/b-1065, dated 03.01.2025, passed by respondent No.2 vide ANNEXURE-D, to the petition.

b. Issue writ of Mandamus or like in the nature of directing the Respondent no.1 and 2 to pass the order on merits of the case.”

c. Pass such other Order or further Orders as this Hon’ble Court may deems fit in the facts and circumstances of this case, in the interest of justice and equity.

2.

Heard the learned counsel Sri.H.R.Kambiyavar, appearing for petitioner, learned AGA-Sri.T.Hanumareddy, appearing for respondents No.1 to 3 and learned counsel Sri.M.B.Kanavi, appearing for respondent No.4. 3. The petitioner is a proprietorship concern registered under the Provisions of the Central Goods and Services Tax Act, 2017 (hereinafter referred to as ‘the CGST Act’ for short) and the Karnataka Goods and Services Tax Act, 2017 (hereinafter referred to as ‘the KGST Act’ for short). The issue relates to the issuance of a show-cause notice as to why the registration of the petitioner should not be cancelled. The cancellation ensued upon the HC-KAR NC: 2025:KHC-D:17283 authority not being satisfied with the petitioner's reply. The petitioner then seeks to file an appeal invoking Section 107 of the CGST Act, which was rejected on the ground of limitation.

4.

In identical circumstances, this Court has permitted appeals to be filed despite the delay in Writ Petition No.101618 of 2025 decided on 29.10.2025, wherein this Court has held as follows. 1. “Petitioner is before this Court seeking the following prayer: a. “Issue Writ of Certiorari or in the like nature of certiorari quashing the impugned order bearing no. Appeal No. GST-227/2024-25/B-491, dated 30/09/2024, passed by respondent no. 2. vide ANNEXURE-C, to the petition. b. Consequently or in the like nature of certiorari quashing the impugned order bearing no. ACCT/A- 5/RECTIFICATION/2023-24 dated 21.11.2023, passed by respondent no. 1 vide ANNEXURE-A. c. Pass such other order of further orders as this Hon’ble Court may deems fit in the facts and circumstances of this case, in the interest of justice and equity.”

2.

The learned counsel appearing for the petitioner submits that the petitioner notwithstanding the fact of payment of complete tax, the assessment is drawn against him, against which an appeal is preferred and the appeal is rejected on the sole ground of delay.

3.

The learned counsel submits that the issue in the lis stands answered by the judgment rendered by this Court in Writ Petition No.107549/2024 disposed of on 21.01.2025. 4. In the light of the issue standing answered by this Court and that of the Division Bench in Writ Appeal No.100608/2025, the petition deserves to succeed in the same direction that is issued while disposing of Writ Petition No.107549 of 2024. 5. For the aforesaid reasons, the following: HC-KAR NC: 2025:KHC-D:17283 ORDER i. Writ petition is allowed in part. ii. The petitioner is permitted to file an appeal against the cancellation of registration before the Appellate Authority within four weeks from the date of the receipt of this order. iii. In the event, the appeal is preferred within four weeks as aforesaid, it shall be considered on its merit and not reject the appeal on the ground of limitation. iv. In the event, the petitioner would not prefer an appeal within four weeks as permitted above, the benefit of the order rendered in the subject petition would not be available to the petitioner.

Ordered accordingly.”

5.

In the light of the Appellate Authority being directed to consider the appeal on its merits, the impugned order of the Appellate Authority is hereby set aside.

6.

All other contentions are left open to be urged before the Appellate Authority.”

4.

In the light of the issue standing covered by the judgment passed by the Co-ordinate Bench of this Court (supra), on all its fours and on the same reasons, the subject petition also stands disposed. (M.NAGAPRASANNA) JUDGE

AC CT:ANB List No.: 1 Sl No.: 51

Reproduced from the public record of the Karnataka High Court. Verify against the court's own copy before relying on it. Income tax judgments are on bharattax.net.