Short Description :
GST Investigations, Demands, Appeals & Prosecution is a court-tested commentary on the enforcement, dispute resolution and penal provisions of GST—addressing the operational reality that GST officers wield both quasi-judicial and police powers that curtail liberty, attach property, detain goods and trigger prosecution. Authored by Dr G. Gokul Kishore & R. Subhashree, this 5th Edition (2026) is updated for the Finance Act 2026, the new proper-officer assignments under Sections 74A, 75(2) and 122, the Supreme Court's decision in Radhika Agarwal v. Union of India on arrest, and the High Court jurisprudence shaping the early GST Appellate Tribunal. It integrates pre-GST Customs, Excise, and Service Tax authorities with emerging GST case law, importing principles from the IPC, CrPC, CPC, Limitation Act, and IBC wherever they bear on a controversy. Each section is broken down into italicised 'rule-of-law' headlines that practitioners can lift directly into pleadings, with CBIC instructions and State SOPs.
| Subject : | GST Investigations Demands Appeals & Prosecution |
| Author : | Dr. G. Gokul Kishore |
| Feature : | GST Investigations, Demands, Appeals & Prosecution is a court-tested commentary on the enforcement, dispute resolution and penal provisions of the GST law. It addresses the operational reality that GST officers wield both quasi-judicial powers and police powers—powers which curtail personal liberty, attach property, detain goods, and lead to arrest and prosecution—and that the daily output of the High Courts now constitutes the most reliable map of where those powers stop. The 5th Edition is updated to reflect the Finance Act 2026 amendments and the law as it stood in April 2026, including the new proper-officer assignments under Sections 74A, 75(2) and 122 of the CGST Act, the Supreme Court's intervention in Radhika Agarwal v. Union of India on arrest, and the High Court jurisprudence shaping the early functioning of the GST Appellate Tribunal. This book is intended for the following audience: Tax Professionals—Chartered Accountants, Cost Accountants and Company Secretaries advising on departmental proceedings, replies to SCNs, appeals and writ strategy Advocates and Senior Counsel—appearing before adjudicating authorities, the GST Appellate Tribunal, High Courts and the Supreme Court in indirect tax matters Industry & in-house tax teams—managing investigations, summons compliance, audit responses, detention of goods in transit, provisional attachment and recovery proceedings Departmental officers of CBIC and State GST authorities exercising inspection, audit, adjudication, appellate and prosecution functions Members of the Judiciary—dealing with writ petitions, bail applications and tax appeals under GST Academia & Students of advanced indirect tax, who require an integrated treatment of substantive provisions and procedural jurisprudence The Present Publication is the 5th Edition and amended by the Finance Act 2026. It is authored by Dr G. Gokul Kishore & R. Subhashree, with the following noteworthy features: [Finance Act 2026 Updated] Every chapter has been refreshed for the Finance Act 2026 amendments, including the recasting around Section 74A and the latest proper-officer notifications [Pre-GST & GST Jurisprudence] Pre-GST jurisprudence under Customs, Central Excise and Service Tax laws is integrated alongside the rapidly emerging GST case law. Several propositions in this domain still live only in pre-GST authorities [Headlined Propositions] Each section is broken down through italicised 'rule-of-law' headlines (e.g., 'Reasons to believe should precede sanction of search', 'Summary of SCN cannot substitute SCN', 'Notice and orders without digital signature invalid', 'No entitlement to default bail if complaint filed within 60 days of arrest') that practitioners can lift directly into pleadings [Cross-Doctrinal Treatment] IPC, CrPC, CPC, Limitation Act, IBC and constitutional principles are imported wherever they bear on a GST controversy—essential because most live disputes (search, statements, arrest, bail, prosecution) are decided on these allied codes [Departmental Position Reproduced] CBIC instructions, circulars and State SOPs (Andhra Pradesh, Tamil Nadu) are reproduced in full as appendices—DIN requirements, Section 83 attachment guidelines, ease-of-doing-business instructions, search SOPs, and the test-purchase SOP under TNGST Section 67(12) [Case Index & Subject Index] A multi-page List of Cases with paragraph-level mapping and a dedicated Subject Index for issue-based retrieval at the time of drafting The book follows the lifecycle of a GST dispute, end to end: First Contact Inspection, search, seizure, summons, recording of statements, audit, access to business premises, parallel CGST/SGST proceedings, test purchase Goods in Transit Detention and seizure under Section 129, release procedures, hearing requirements, quantum of penalty for minor discrepancies, consignee's right of appeal Demand Stage Show cause notices under Sections 73/74/74A, ingredients of a valid SCN, system-generated notices, signature and DIN requirements, summary notices, service through online mode, time-bar, and natural-justice defects Adjudication & Confiscation Opportunity of hearing, ex parte orders, cross-examination, confiscation under Section 130, redemption fine, penalties under Sections 122–127, mens rea Appeals & Revision Pre-deposit, condonation of delay, the GST Appellate Tribunal's early jurisprudence, writ jurisdiction during the Tribunal vacuum, revision under Section 108 Liberty Stage Arrest under Section 69, cognisable/non-cognisable distinction, bail (regular, anticipatory, default), compounding, and prosecution Recovery & Ancillary Provisional attachment under Section 83, garnishee notices, recovery under IBC scenarios, and the burden-of-proof and presumption framework under the Act Rather than mirror the statute, the authors apply a consistent five-layer treatment to every issue—a pattern that explains why the book is usable as a litigation aid rather than a textbook: Statutory Anchor — The relevant CGST provision is laid down clause by clause, with attention to drafting nuances and incongruities (e.g., the noted dissonance between Section 69(1) and Sections 132(4)/(5) on cognisable offences) Conceptual Exposition — The operative legal vocabulary ('reason to believe', 'secreted', 'seizure', 'sufficient cause', 'custody', 'arrest', 'voluntary payment') is unpacked using law lexicons, IPC definitions and Supreme Court constructions Court-tested Propositions — The section is then broken down into bold/italic headline propositions stating the rule of law, each one effectively a takeaway a practitioner can cite Case-law Walk-through — Every proposition is supported by a discussion of facts, ratio and citation, drawing freely from Supreme Court, High Court and Tribunal decisions, both pre-GST and GST Departmental Position — Wherever CBIC or State instructions speak to the issue, they are integrated and, where central, reproduced verbatim in the appendices The result is that a reader looking up, say, 'can a system-generated SCN without DIN be sustained? ' finds the section, the concept, the proposition, the authority and the departmental instruction in a single place |
| Dispatch : | The Book shall be Dispatched by standard Courier Service within 2 working Days. |
| Author: | Dr. G. Gokul Kishore |
| Publisher: | Taxmann |
| Date of Publication : | April 2026 |
| Edition : | 5th Edition |
| No of Pages : | N/A |
G. Gokul Kishore
Dr G. Gokul Kishore is an Advocate and indirect tax specialist with over thirty years’ standing, representing industry before adjudicating and appellate authorities and the High Court, and advising on GST, Customs, FEMA, Legal Metrology, IPR and corporate law. He spent nine years at a Tier-1 law firm, preceded by five years on the editorial desks of Excise Law Times and Service Tax Review, and twelve years in the Central Excise Department. He holds a doctorate in indirect taxation, has authored over 400 articles in Financial Express, Taxmann, ELT and STR, and regularly delivers training sessions for departmental officers and taxpayers. He is the co-author of Cross-Border Transactions under Tax Laws & FEMA, published by Taxmann.
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