ORDER : 1. The Additional Advocate General-III appearing on behalf of the State is agreeable that it would be open to the petitioner to assail the legality and validity of the initiation of proceedings under Section 17 of the Bihar Sales Tax Act on the ground that the notice dated 20.5.2003 being not in conformity with Form XIV, as required under Rule 20 of the Bihar Sales Tax Rules, 1983, did not clothe the authority to frame re-assessment ORDER :under Section 19 of the Bihar Finance Act. He, however, submits that liberty should be granted to the respondents to raise a plea in defence that in fact, the proceedings against the assessee have been initiated under Section 20 of the Bihar Finance Act before the assessment was made. 2. In view of the submission of the Additional Advocate General, we are satisfied that merits of the diverse contentions need not be examined by us in the writ petition as the petitioner shall have full opportunity to argue before the appellate authority about the jurisdiction of the Assessing Officer for want of the notice being in conformity with Form XIV of the Bihar Sales Tax Rules. Obviously, the authorities shall consider this aspect after hearing both the parties in accordance with law. 3. This writ petition is disposed of accordingly.