Facts of the
Case
Bexley Creation Enterprises (OPC) Private Limited,
an exporter entity controlled by members of the Gumber family, filed a writ
petition as part of a batch of connected matters led by Genesis Enterprises,
challenging inspection, search and seizure operations conducted by the CGST
Department in July 2025. Searches were conducted at the residential premises of
the Gumber family at Noida and at various business premises in Delhi connected
with Bexley Creation Enterprises and other related firms.
The petitioner alleged that the search and seizure
were conducted unlawfully, that CCTV footage from the residential premises was
seized in violation of the right to privacy, that refund applications were
withdrawn and Input Tax Credit was reversed under coercion and duress, and that
the GST authorities exceeded their powers under Section 67 of the CGST Act.
The GST Department asserted that intelligence
inputs and discreet verification revealed that Bexley Creation Enterprises was
part of a larger network of interconnected and fictitious firms created and
controlled by the Gumber family for availing and passing on fraudulent Input
Tax Credit and for claiming inadmissible GST refunds without actual supply of
goods.
Issues
Involved
Whether the search and seizure conducted under
Section 67 of the CGST Act were without jurisdiction or violative of statutory
safeguards, whether seizure of CCTV footage from residential premises violated
the right to privacy, whether allegations of coercion in ITC reversal and
withdrawal of refund applications warranted writ interference, and whether the
High Court should interdict GST investigation at a nascent stage.
Petitioner’s
Arguments
The petitioner contended that the panchnamas were
defective, that seizure of CCTV footage from a shared residential premises
infringed privacy rights of family members, and that coercive methods were
adopted by GST officials to compel reversal of ITC and withdrawal of refund
claims. It was argued that the actions of the GST Department were contrary to
CBIC instructions and judicial precedents governing search and seizure under
Section 67 of the CGST Act.
Respondent’s
Arguments
The GST Department submitted that proper “reasons
to believe” were duly recorded by a competent officer prior to authorisation of
search under Section 67(2) of the CGST Act. It was contended that investigation
revealed that Bexley Creation Enterprises had received supplies from
non-genuine and non-operational supplier firms forming part of a layered
structure of bogus entities created to pass on fake ITC. The Department further
assured the Court that seized CCTV memory cards and electronic devices had not
been accessed and would be examined strictly in accordance with prescribed SOPs
and legal safeguards.
Court Order
/ Findings
The Delhi High Court examined the statutory
framework and safeguards under Section 67 of the CGST Act and reiterated that
search and seizure powers, though intrusive, are legally permissible where
“reasons to believe” exist. The Court found that substantial material had been
placed on record showing large-scale GST evasion through a maze of fictitious
firms created and controlled by the Gumber family, including entities connected
with Bexley Creation Enterprises.
The Court held that sufficiency of reasons recorded
for authorising search cannot be examined in writ jurisdiction and that
judicial interference at the investigation stage would be wholly unwarranted.
Allegations of coercion, duress and privacy violation were held to involve
disputed questions of fact not amenable to adjudication under Article 226,
particularly in view of the Department’s categorical assurance that seized CCTV
footage had not been accessed.
Important
Clarification
The High Court clarified that Section 67 CGST Act
empowers GST authorities to conduct inspection, search and seizure to unearth
tax evasion and that courts will not interfere with investigations merely on
allegations of procedural impropriety unless clear jurisdictional error or mala
fides are established. Issues relating to alleged coercion, ITC reversal or
refund withdrawal may be agitated in appropriate proceedings after completion
of investigation.
Final
Outcome
The writ petition filed by Bexley Creation
Enterprises (OPC) Private Limited was dismissed. The Delhi High
Court declined to interfere with the search and seizure proceedings conducted
under Section 67 of the CGST Act and permitted the GST Department to
proceed with the investigation in accordance with law. All pending
applications, if any, were disposed of accordingly.
Source
Link- https://delhihighcourt.nic.in/app/showFileJudgment/PMS15092025CW138212025_155439.pdf
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