Header Preview — Advocate Md Manzar Alam
Advocate Md Manzar Alam logo — scales of justice emblem Md Manzar Alam Advocate, Patna High Court
GST First Appeal Lawyer Patna | Commissioner (Appeals) Advocate
⚖ GST First Appeal Before Commissioner (Appeals)

GST First Appeal Lawyer in Patna
Commissioner (Appeals) Advocate | 16+ Years Experience

GST First Appeal Lawyer in Patna specializing in appeals before the Commissioner (Appeals) at Birchand Patel Path, Patna. Advocate Md Manzar Alam (MBA + LL.B.) is a trusted GST appellate authority lawyer with 16+ years of experience. If you have received an adverse GST demand order and need a GST appeal advocate in Bihar, expert legal representation is your first line of defence.

🖊 Advocate Md Manzar Alam 📍 Patna High Court ⏱ 16+ years experience 🏛 Bar Council BR/3303/2010
16+ Years of Practice
38 Districts of Bihar
3 Months — Limitation Period
10% Pre-Deposit Requirement
Who Is Advocate Md Manzar Alam?

GST First Appeal Lawyer in Patna with MBA + LL.B. Dual Qualification

Advocate Md Manzar Alam is a distinguished GST First Appeal Lawyer in Patna and a recognized GST appellate authority advocate. He holds a rare dual academic qualification — MBA (Master of Business Administration) + LL.B. (Bachelor of Laws) — combining business and financial management expertise with deep legal training. In GST first appeals, where the stakes involve not just tax demands but also business cash flow, ITC blocking, and penalty exposure, this dual perspective is a decisive advantage.

With 16+ years of active legal practice, Advocate Alam is enrolled with the Bihar State Bar Council (Enrollment No. BR/3303/2010) and is an active member of the District Bar Association, Patna (Member No. 8648). As a leading GST appeal advocate in Bihar, he practices before the Patna High Court, Debt Recovery Tribunal (DRT) Patna, Debt Recovery Appellate Tribunal (DRAT) Kolkata, and all 38 District Courts of Bihar.

He is also the Founder of Sugam Tax & Legal Multiservices LLP (LLPIN: ACS-6954), a registered limited liability partnership providing integrated tax and legal services across Bihar.

📞 Emergency First Appeal Consultation: +91 8252908693  |  📧 advocatemdmanzaralam@gmail.com
Section 107 CGST Act

What Is the GST First Appeal & Why It Is the Most Critical Stage

The GST First Appeal is the first level of appellate remedy available to a taxpayer aggrieved by an order passed by a GST adjudicating authority. It is filed before the Commissioner (Appeals) or Joint Commissioner (Appeals) under Section 107 of the Central Goods and Services Tax Act, 2017. This stage is where most GST disputes are either resolved favorably or shaped for the next stage.

For taxpayers in Bihar, the First Appeal is filed before the CGST & CX (Appeals) Commissionerate, Patna, located at 2nd Floor, Central Revenue Building (Annexe), Birchand Patel Path, Patna – 800001. The Commissioner of Appeals is Mohan Kumar Meena. The Additional Commissioner is Manoj Kumar Sharma.

Why Is the First Appeal the Most Critical Stage?

  • It is your first opportunity to challenge errors of law, fact, and procedure in the adjudication order.
  • The pre-deposit burden is lowest at this stage (10% of disputed tax, with ITC usable).
  • A favorable order here ends the dispute — no need to escalate to GSTAT or High Court.
  • An unfavorable order sets the factual record that GSTAT will review. A weak first appeal damages your GSTAT case.
  • The limitation period is strict: 3 months, extendable by only 1 month.

🏛️ CGST & CX (Appeals) Commissionerate, Patna

Address: 2nd Floor, Central Revenue Building (Annexe), Birchand Patel Path, Patna – 800001

Commissioner: Mohan Kumar Meena  |  Additional Commissioner: Manoj Kumar Sharma

📞 Office Phone: 0612-2504813  |  ✉ Email: cgstappealpatna@gov.in | hoo.cgstappealpatna@gov.in

Appeal Pipeline

The GST Dispute Pipeline: Where the First Appeal Sits

Understanding where the First Appeal sits in the full GST dispute hierarchy is essential for every Bihar taxpayer:

StageAuthorityLegal ProvisionPurposeTime Limit
1. AdjudicationGST Officer (Adjudicating Authority)Section 73/74 CGST ActIssues Show Cause Notice → Order-in-Original (DRC-07)
2. First AppealCommissioner (Appeals) / Joint Commissioner (Appeals)Section 107 CGST ActChallenges Order-in-Original — YOUR CURRENT STAGE3 months + 1 month condonation
3. Second AppealGST Appellate Tribunal (GSTAT) Patna BenchSection 112 CGST ActChallenges Order-in-Appeal / Revisional Order3 months + 3 months condonation
4. Third AppealPatna High CourtSection 117 CGST ActSubstantial Question of Law only180 days from GSTAT order
5. Final AppealSupreme CourtSection 118 CGST ActNational importance / significant legal principles
Cross-Reference — The Complete User Journey: The First Appeal is not an isolated step. If your First Appeal before the Commissioner (Appeals) is dismissed or only partially allowed, the GST Appellate Tribunal (GSTAT) Patna Bench is your next and most critical stage. Advocate Md Manzar Alam provides seamless continuity — from drafting your First Appeal (APL-01) to filing your GSTAT appeal (APL-05) if needed. If GSTAT also rules against you, the only remedy is an appeal to the Patna High Court on a substantial question of law under Section 117. This end-to-end representation ensures your case is argued with full context and consistency at every stage.
First Appellate Authority

Who Is the First Appellate Authority in Bihar?

Under the GST framework, the First Appellate Authority is determined by the rank of the adjudicating officer who passed the order:

Adjudicating AuthorityFirst Appellate AuthorityLegal Basis
Additional / Joint CommissionerCommissioner (Appeals)Section 107 read with Notification
Deputy / Assistant Commissioner / SuperintendentJoint Commissioner (Appeals)Section 107 read with Notification

📍 CGST & CX (Appeals) Commissionerate, Patna

Address: 2nd Floor, Central Revenue Building (Annexe), Birchand Patel Path, Patna – 800001

📞 Office Phone: 0612-2504813

✉ Email: cgstappealpatna@gov.in | hoo.cgstappealpatna@gov.in

📍 Landmark: Near Birchand Patel Path, Patna — opposite the main Central Revenue Building

Filing Requirements

Mandatory Requirements for Filing a GST First Appeal in Patna

1. Limitation Period — The Clock Starts on Communication

ScenarioTime LimitLegal Basis
Standard filing period3 months from date of communication of Order-in-OriginalSection 107(1), CGST Act
Condonation of delayAdditional 1 month (total 4 months) on sufficient causeSection 107(2), CGST Act
⚠️ CRITICAL WARNING: The First Appeal limitation is STRICTER than GSTAT. You get only 3 months (plus 1 month condonation) compared to GSTAT's 3+3 months. The date of "communication" — not the date of the order — is what matters. If the order was sent by post, the communication date may be days or weeks after the order date. Call +91 8252908693 immediately upon receiving any adverse GST order to verify your deadline.

2. Mandatory Pre-Deposit — Section 107(4) of CGST Act

The pre-deposit is the gatekeeper of the First Appeal. Without it, your appeal is not entertained:

ComponentRequirementKey Difference from GSTAT
Admitted tax liability100% payment of admitted tax, interest, fine, fee, penaltySame as GSTAT
Disputed tax amount10% of remaining disputed taxSame as GSTAT
Maximum cap per enactment₹25 crore (CGST/SGST/UTGST/Cess); ₹50 crore (IGST)GSTAT has ₹20 crore / ₹40 crore cap
Payment methodCash OR ITC from Electronic Credit LedgerGSTAT: Cash/Bharat Kosh ONLY — ITC NOT allowed
Detention/seizure orders (Sec 129)25% of penalty amountSpecific to First Appeal under Section 107(6)
💰 Strategic Advantage at First Appeal Stage: Unlike GSTAT, where ITC cannot be used for pre-deposit, at the First Appeal stage you CAN utilise your Input Tax Credit from the Electronic Credit Ledger. This significantly reduces the cash outflow for businesses with accumulated ITC. Advocate Md Manzar Alam strategically advises on the optimal mix of cash vs. ITC payment to preserve your working capital.

3. Filing Fee — Rule 108(1), CGST Rules

The First Appeal is filed electronically in FORM GST APL-01. There is no separate court fee for filing APL-01 on the GST portal — the pre-deposit itself serves as the fee component. However, professional fees for drafting, documentation, and representation apply.

4. E-Filing on GST Portal — FORM GST APL-01

The First Appeal is filed on the official GST portal (www.gst.gov.in) — NOT on efiling.gstat.gov.in (which is exclusively for GSTAT). The process involves:

  • Login to GST Portal → Services → User Services → My Applications → Appeal to Appellate Authority → New Application
  • Select Order Type (Assessment-Demand Order, Enforcement Order, Registration Order, Refund Order, etc.)
  • Enter Order Number and search — the system auto-populates order details
  • Select Category of case under dispute (Tax, Interest, Penalty, Fine, Fee, Cess)
  • Upload Annexure to GST APL-01 (Statement of Facts, Grounds of Appeal, Prayer)
  • Enter Disputed Amount / Payment Details — classify by tax head (CGST, SGST, IGST, Cess)
  • Enter Pre-Deposit Percentage (minimum 10% of disputed tax) — system auto-calculates
  • Select Payment Method: Cash or ITC in Electronic Ledger
  • Add Supporting Documents (reply to SCN, evidence, contracts, invoices)
  • Preview, verify, and file with DSC (for companies/LLPs) or EVC (for individuals/partnerships)

5. Hard Copy Filing — Rule 108(3), CGST Rules

⚠️ CRITICAL — This is the step most taxpayers miss, and it can invalidate your entire appeal.

Rule 108(3) of the CGST Rules mandates: "A hard copy of the appeal in FORM GST APL-01 shall be submitted in triplicate to the Appellate Authority and shall be accompanied by a certified copy of the decision or order appealed against along with the supporting documents within seven days of filing of the appeal under sub-rule (1) and a final acknowledgement, indicating appeal number shall be issued thereafter in FORM GST APL-02..."

Where to submit in Patna:

CGST & CX (Appeals) Commissionerate, Patna
2nd Floor, Central Revenue Building (Annexe)
Birchand Patel Path, Patna – 800001
📞 0612-2504813 ✉ cgstappealpatna@gov.in

📋 Important: If the hard copy is submitted within 7 days, the date of filing is the date of the provisional acknowledgment. If submitted after 7 days, the date of filing is the date of submission of the hard copy. This can be the difference between a timely appeal and a time-barred one. Advocate Md Manzar Alam ensures this critical compliance is never missed.
Required Documents

Complete Document Checklist for GST First Appeal Filing

A missing document can delay your appeal or result in a deficiency notice. Here is the complete checklist:

Sr. No.Document / FormPurposeRule / Section Reference
1FORM GST APL-01 (e-filed + hard copy in triplicate)Appeal to Appellate AuthorityRule 108(1) & 108(3), CGST Rules
2Certified copy of Order-in-Original (DRC-07 / DRC-08)The order being challengedRule 108(3), CGST Rules
3Show Cause Notice (DRC-01 / DRC-06)Initiates the dispute; proves due processSupporting document
4Reply to Show Cause NoticeYour original defence on recordSupporting document
5Annexure to GST APL-01 (PDF)Statement of Facts, Grounds of Appeal, PrayerRule 108(1), CGST Rules
6Pre-deposit Challan / Payment ProofProof of mandatory 10% pre-deposit + 100% admitted taxSection 107(4), CGST Act
7Disputed Amount / Payment Details (auto-populated)Classification by tax head (CGST, SGST, IGST, Cess)GST Portal auto-calculation
8Supporting Documents (invoices, contracts, GSTRs)Evidence to substantiate grounds of appealSupporting document
9Vakalatnama / Authorisation LetterAuthorisation of advocate/CA to representSupporting document
10Board Resolution / Partnership LetterAuthorises signatory for companies/LLPs/partnershipsSupporting document
11Verification Clause in APL-01Solemn affirmation of truth and correctnessRule 108(1), CGST Rules
12Condonation Application + Affidavit (if delayed)Explains delay beyond 3 monthsSection 107(2), CGST Act
13English translations (if any document is in Hindi)Required for non-English documentsRule 108, CGST Rules
14Any rectification order (if original order was rectified)Appeal must be against the rectified orderGST Portal requirement
Jurisdiction

Appealable vs. Non-Appealable Orders Under GST

✅ Orders You CAN Appeal

  • Assessment or Demand Order (DRC-07)
  • Enforcement Order (detention, seizure, confiscation)
  • Registration Order (cancellation, suspension, rejection)
  • Refund Order (refund rejection, partial allowance)
  • Assessment Non-Demand Order
  • LUT Order (Letter of Undertaking rejection)

❌ Orders You CANNOT Appeal

Section 121 — Non-Appealable Orders:

  • Order to transfer proceedings from one officer to another
  • Order to seize or retain books of account
  • Order sanctioning prosecution under the Act
  • Order allowing payment of tax in instalments under Section 80
⚡ Alternative Remedy for Non-Appealable Orders: While these orders cannot be appealed under Section 107, they may be challenged by filing a writ petition under Article 226 of the Constitution before the Patna High Court. Advocate Md Manzar Alam, with his 16+ years of High Court practice, can advise on the most appropriate remedy for your specific situation.
Practice Areas

Types of First Appeals Handled by Advocate Md Manzar Alam

As a leading GST First Appeal Lawyer in Patna, Advocate Alam represents clients across the full spectrum of First Appeal matters:

📊

Tax Demand & Assessment Appeals

Challenging confirmed tax demands under Section 73 (non-fraud) or Section 74 (fraud); disputes regarding tax liability computation; penalty imposition and quantum disputes; interest liability disputes under Section 50.

📋

Input Tax Credit (ITC) Appeals

ITC denial or reversal by adjudicating authority; blocked credit under Section 17(5); ITC mismatch and reconciliation disputes; fake invoice / ineligible supplier ITC disputes.

💰

Refund Claim Appeals

Export refund denials (with or without payment of tax); unjust enrichment disputes under Section 54; provisional refund rejections; refund of accumulated ITC on account of inverted duty structure.

📝

GST Registration Appeals

Cancellation of GST registration; revocation of cancellation disputes; surrender and rejection of registration applications; registration suspension disputes.

🚔

Enforcement & Penalty Appeals

Detention and seizure of goods/conveyance under Section 129; confiscation orders under Section 130; penalty for non-filing of returns; penalty for fraudulent availment of ITC.

📋 Need Help Filing a GST First Appeal in Patna?

Advocate Md Manzar Alam, a trusted GST appeal advocate, offers comprehensive assistance — from pre-deposit computation to e-filing and oral arguments before the Commissioner (Appeals). Get a free case evaluation today.

Why Choose Advocate Alam

Why Choose Advocate Md Manzar Alam as Your GST First Appeal Lawyer in Patna?

🎓

Rare MBA + LL.B. Dual Qualification

No other GST first appeal lawyer in Patna combines a Master of Business Administration with a Bachelor of Laws. This means Advocate Alam understands not just the legal provisions but also the financial statements, cash flow impact, and commercial rationale behind your GST dispute.

16+ Years of Cross-Tribunal & Court Practice

With over 16 years of continuous practice before Patna High Court, DRT Patna, DRAT Kolkata, and all 38 District Courts of Bihar, Advocate Alam brings deep appellate litigation experience.

📜

Deep First Appeal Procedural Expertise

Comprehensive command of Section 107 of the CGST Act, Rule 108 of the CGST Rules, and the GST portal filing mechanics. From selecting the correct order type to structuring the Annexure APL-01, every step is handled with precision.

💰

Strategic Pre-Deposit Management

Expert guidance on computing the exact pre-deposit amount, utilising ITC from the Electronic Credit Ledger (a key advantage at the First Appeal stage), and minimising cash outflow.

📋

Hard Copy Compliance Guarantee

The 7-day hard copy submission rule (Rule 108(3)) is where most DIY appeals fail. Advocate Alam personally ensures the triplicate hard copy is submitted at the CGST & CX (Appeals) Commissionerate well within the deadline.

🔄

Seamless Continuity to GSTAT & High Court

If the First Appeal is unsuccessful, Advocate Alam already knows your case inside-out and can immediately transition to filing the GSTAT appeal (APL-05) or, if necessary, the Patna High Court appeal (APL-08).

🏢

Founder of a Registered Legal Entity

As Founder of Sugam Tax & Legal Multiservices LLP (LLPIN: ACS-6954), Advocate Alam operates through a registered limited liability partnership — providing institutional stability, proper documentation, and professional accountability.

Step-by-Step

The GST First Appeal Process: Step-by-Step with Advocate Md Manzar Alam

1
Case Evaluation & Order Analysis Receive and analyse the Order-in-Original (DRC-07/DRC-08). Identify appealable vs. non-appealable components. Check limitation period from date of communication (not date of order). Assess pre-deposit liability. Evaluate merits for a strong appeal.
2
Pre-Deposit Computation & Strategic Payment Calculate exact pre-deposit: 100% admitted tax + 10% disputed tax. Verify cap of ₹25 crore (CGST/SGST) / ₹50 crore (IGST). Advise on optimal Cash vs. ITC mix from Electronic Credit Ledger. Guide payment through GST portal.
3
Annexure Drafting — Statement of Facts, Grounds & Prayer Draft the Annexure to GST APL-01 with: (a) Statement of Facts — chronological, accurate, concise narrative; (b) Grounds of Appeal — separately numbered heads covering errors of law, fact, procedure, and jurisdiction; (c) Prayer — specific relief sought (set aside, modify, remand).
4
E-Filing on GST Portal (www.gst.gov.in) Login and navigate to Services → User Services → My Applications → Appeal to Appellate Authority → New Application. Select correct Order Type and Category. Upload Annexure as PDF. Enter disputed amounts by tax head. Select Cash or ITC payment method. File with DSC or EVC.
5
Hard Copy Submission at Commissioner (Appeals) Office, Patna Print FORM GST APL-01 in triplicate. Attach certified copy of Order-in-Original. Attach all supporting documents. Submit at CGST & CX (Appeals) Commissionerate, Birchand Patel Path, Patna, within 7 days of e-filing.
6
Obtain Final Acknowledgment (APL-02) Follow up with the Appellate Authority office to ensure issuance of FORM GST APL-02 with the Appeal Number. The appeal is legally treated as filed only upon receipt of this final acknowledgment.
7
Hearing & Oral Arguments Present oral arguments before the Commissioner (Appeals). File written submissions and rejoinders. Respond to departmental counter-arguments. Handle adjournments and additional evidence if permitted.
8
Final Order & Next Steps Receive and analyse the Order-in-Appeal (APL-04). If favourable: Implement set-aside or modification; secure refund of pre-deposit if applicable. If adverse: Immediately evaluate grounds for GSTAT appeal (APL-05) and advise on escalation strategy.

⏰ Don't Let the Limitation Period Expire!

You have only 3 months from the date of communication of the Order-in-Original to file your First Appeal. Contact Advocate Md Manzar Alam immediately for a free assessment.

Frequently Asked Questions

FAQs: GST First Appeal Before Commissioner (Appeals) in Patna

You must file the appeal within 3 months from the date of communication of the Order-in-Original (DRC-07/DRC-08). The Appellate Authority may allow an additional 1 month (total 4 months) if satisfied that there was sufficient cause for the delay. The date of "communication" — not the date of the order — is what matters. If the order was sent by post, the communication date may be days or weeks after the order date.

Under Section 107(4) of the CGST Act, you must pay: (a) 100% of the admitted tax liability (tax, interest, fine, fee, penalty that you concede); and (b) 10% of the remaining disputed tax amount — subject to a maximum of ₹25 crore per enactment (CGST, Bihar SGST, UTGST, Cess) and ₹50 crore for IGST. For detention/seizure orders under Section 129, 25% of the penalty amount must be paid under Section 107(6).

YES. Unlike GSTAT appeals where ITC cannot be used, at the First Appeal stage before the Commissioner (Appeals), you CAN utilise your Input Tax Credit from the Electronic Credit Ledger. This is a significant strategic advantage for businesses with accumulated ITC, as it reduces cash outflow. Cash payment is also allowed from the Electronic Cash Ledger. Advocate Md Manzar Alam advises on the optimal mix to preserve your working capital.

The mandatory documents include: FORM GST APL-01 (e-filed + hard copy in triplicate); certified copy of the Order-in-Original (DRC-07/DRC-08); Show Cause Notice (DRC-01/DRC-06); your reply to the SCN; Annexure to APL-01 containing Statement of Facts, Grounds of Appeal, and Prayer; pre-deposit challan/payment proof; Vakalatnama/Authorisation Letter; Board Resolution (for companies/LLPs); and all supporting evidence (invoices, GSTRs, contracts, correspondence). Non-English documents require certified English translations.

If the Commissioner (Appeals) dismisses your appeal or only partially allows it, you can file a Second Appeal before the GST Appellate Tribunal (GSTAT) Patna Bench under Section 112 of the CGST Act within 3 months (extendable by 3 months). GSTAT is the final fact-finding authority. If GSTAT also rules against you, the only remedy is an appeal to the Patna High Court on a substantial question of law under Section 117 within 180 days. Advocate Md Manzar Alam provides continuous representation at every stage.

While individuals can technically file appeals on the GST portal, specialised legal representation is strongly recommended because: (1) The Annexure to APL-01 requires precise drafting of Statement of Facts and Grounds of Appeal — weak drafting damages your case at GSTAT too; (2) Pre-deposit calculation errors can render the appeal defective; (3) The 7-day hard copy submission rule (Rule 108(3)) is frequently missed, invalidating the appeal; (4) You cannot introduce new grounds mid-hearing without leave; (5) The Commissioner (Appeals) cannot remand the case back — the order must be confirmed, modified, or annulled — so getting it right the first time is critical; (6) A lawyer with cross-tribunal experience (DRT, DRAT, GSTAT, High Court) understands appellate bench dynamics and persuasive argumentation.

The CGST & CX (Appeals) Commissionerate, Patna is located at: 2nd Floor, Central Revenue Building (Annexe), Birchand Patel Path, Patna – 800001. The office is near the main Central Revenue Building. You can contact them at 0612-2504813 or email cgstappealpatna@gov.in. Advocate Md Manzar Alam personally ensures the hard copy submission is delivered to this exact address within the mandatory 7-day window.

Yes, but only with condonation of delay. Under Section 107(2) of the CGST Act, the Appellate Authority may allow the appeal to be presented within a further period of one month (total 4 months) if satisfied that there was "sufficient cause" for the delay. However, condonation is not automatic. You must file a formal Condonation Application along with an affidavit explaining the reasons for the delay. Beyond 4 months, the appeal becomes permanently time-barred.

"Sufficient cause" typically includes circumstances beyond the appellant's control, such as: (1) Serious illness or hospitalization of the appellant or key decision-maker; (2) Natural calamities (floods, earthquakes, cyclones); (3) Postal delays or non-receipt of the order (proving the date of communication); (4) Strike or lockout at the business premises; (5) Reliance on incorrect legal advice. Courts have held that mere negligence or casual approach is not sufficient cause. The delay must be properly explained with supporting evidence.

Example: Suppose a taxpayer has a disputed tax demand of ₹10 lakh (CGST + SGST). They admit ₹2 lakh of the demand. The remaining disputed amount is ₹8 lakh. Pre-deposit calculation: (a) 100% of admitted liability = ₹2 lakh. (b) 10% of remaining disputed amount = 10% of ₹8 lakh = ₹80,000. Total pre-deposit = ₹2,80,000. The taxpayer can pay this using either cash from the Electronic Cash Ledger or by utilising ITC from the Electronic Credit Ledger. The cap of ₹25 crore applies per enactment.

NO. Under Section 107(11) of the CGST Act, the Commissioner (Appeals) cannot remand the case back to the adjudicating authority. The order must be confirmed, modified, or annulled based on the evidence on record. This is a crucial distinction from civil courts where remand is common. It means you cannot rely on a "second chance" to submit additional evidence at the First Appeal stage. All evidence must be presented within the appeal filing process or with the written submissions before the Commissioner (Appeals).

FORM GST APL-01 is used for the First Appeal before the Commissioner (Appeals) under Section 107. It is filed on the official GST portal (www.gst.gov.in). The pre-deposit can be paid using Cash or ITC from the Electronic Credit Ledger. FORM GST APL-05 is used for the Second Appeal before the GST Appellate Tribunal (GSTAT) under Section 112. It is filed on the exclusive GSTAT portal (efiling.gstat.gov.in). For a GSTAT appeal, the pre-deposit CANNOT be paid using ITC — only Cash or Bharat Kosh is accepted. The limitation period for GSTAT is also longer (3+3 months).

YES. Under Rule 108(3) of the CGST Rules, a hard copy of the appeal in FORM GST APL-01 must be submitted in triplicate to the Appellate Authority within 7 days of e-filing. The hard copy must be accompanied by a certified copy of the order and all supporting documents. The final acknowledgment (APL-02) with the appeal number is issued only after the hard copy is received. Missing this 7-day deadline can invalidate your entire appeal. Advocate Md Manzar Alam personally ensures this critical compliance is never missed.

If the pre-deposit is not paid in full, the appeal will not be entertained by the Appellate Authority. The provision of Section 107(4) is mandatory and non-negotiable. The GST portal itself will not allow you to file the appeal without paying the requisite pre-deposit. If you attempt to file without full payment, the system will reject the filing. Paid within the limitation period, the recovery proceedings for the balance amount are automatically stayed. This stay is a critical protection offered by the pre-deposit provision.

You can track the status of your GST First Appeal on the official GST portal (www.gst.gov.in) under Services → User Services → My Applications → Appeal to Appellate Authority. After you have filed the appeal and submitted the hard copy, the Department issues a Final Acknowledgment (FORM GST APL-02) with an Appeal Number. You can use this Appeal Number to track the progress, view hearing dates, and download the final order (APL-04). If the appeal is delayed, you may need to follow up with the CGST & CX (Appeals) Commissionerate office at Birchand Patel Path, Patna.

Next Stage

From First Appeal to GSTAT: The Next Stage in Your Dispute Journey

If the Commissioner (Appeals) passes an adverse Order-in-Appeal (APL-04), or if the Department is aggrieved by a favourable order, the next stage is the GST Appellate Tribunal (GSTAT) Patna Bench under Section 112 of the CGST Act.

Key Differences Between First Appeal and GSTAT Appeal:

AspectFirst Appeal (Commissioner)Second Appeal (GSTAT)
FormGST APL-01GST APL-05
Portalwww.gst.gov.inefiling.gstat.gov.in
Pre-deposit paymentCash OR ITC (Electronic Credit Ledger)Cash/Bharat Kosh ONLY — ITC NOT allowed
Pre-deposit cap₹25 crore (CGST/SGST); ₹50 crore (IGST)₹20 crore (CGST/SGST); ₹40 crore (IGST)
Limitation3 months + 1 month condonation3 months + 3 months condonation
Filing feeNo separate fee (pre-deposit serves as fee)₹1,000 per ₹1 lakh disputed (min ₹5,000; max ₹25,000)
🔄 Seamless Continuity: Advocate Md Manzar Alam provides seamless continuity of representation from the First Appeal stage to GSTAT. If he has handled your First Appeal, he already knows your case, your documents, and your strategy — ensuring the GSTAT appeal is filed with full context and consistency. The same continuity extends to the Patna High Court under Section 117 if required.

📞 Still Have Questions About GST First Appeals in Patna?

Advocate Md Manzar Alam offers a free, no-obligation case assessment to help you understand your options, calculate your pre-deposit, and evaluate your chances of success before the Commissioner (Appeals).

Get in Touch

Contact Advocate Md Manzar Alam — GST First Appeal Lawyer in Patna

📞 Contact Details

📞
Phone / WhatsApp +91 8252908693
📱
Instagram @mdmanzar853
📍
Primary Office (Litigation Chamber) C/O Advocate Md Manzar Alam, Member No. 8648
New DBA Building, Patna Sadar
Patna – 800004, Bihar
📍
Secondary Office (Corporate & Tax) Chhoti Bazar, Mogalpura
Patna City – 800008, Bihar
🏛
Courts of Practice Patna High Court | DRT, Patna | DRAT, Kolkata | All 38 District Courts of Bihar | GSTAT Patna Bench

🎯 Get a FREE First Appeal Case Assessment

Received an adverse GST order? The 3-month limitation clock is ticking. Call now for a free, confidential case evaluation before the Commissioner (Appeals), Patna. Don't risk your appeal on a missed deadline or a defective filing.

Advocate Md Manzar Alam, MBA + LL.B.
Bar Council Enrollment BR/3303/2010 | DBA Member No. 8648
Founder, Sugam Tax & Legal Multiservices LLP (LLPIN: ACS-6954)

Protect Your Tax Rights — File Your GST First Appeal Today

Advocate Md Manzar Alam provides end-to-end representation before the Commissioner (Appeals), Patna — from case evaluation and pre-deposit computation to e-filing, hard copy submission, oral arguments, and seamless transition to GSTAT if required.

⚖️ Legal Disclaimer: The information provided on this page constitutes general legal information and not formal legal advice. GST First Appeal proceedings are subject to complex statutory provisions and judicial interpretations. Outcomes depend entirely on the specific facts of each case. For case-specific advice, consult Advocate Md Manzar Alam directly.