On 26 April 2026, a Karnataka High Court division bench held that show-cause notices under Sections 73/74 CGST Act are neither tax-period-specific nor financial-year-specific, allowing the Revenue's intra-court appeals and creating an inter-state split with Bombay and Madras.
On 17 April 2026, a Bombay High Court division bench declined to follow Milroc Good Earth and referred to a Larger Bench the question whether a single show-cause notice under Sections 73/74 CGST Act may span multiple financial years.