ORDER : 1. By this writ petition, the petitioner has prayed for following reliefs:- “(i) declare the provisions of Section 84(3) of Rajasthan Sales Tax Act 1994 that provides for 10% deposit of Tax and other amounts for entertainment of appeals as ultra-vires to the Constitution. (ii) quash/set aside the assessment order dated 27.12.02 (Annexure-5) being contrary to the provisions of law and passed in violation of principles of natural justice. (iii) quash/set aside the order dated 15.3.2003 (Annexure-7) passed by respondent No.4. (iv) hold that the goods sold by the petitioner company falls in entry 10 of the notification dated 30.03.2000 issued under sec. 15 of the Act. (v) hold that the respondent No.3 has no jurisdiction in the light of the circular dated 18.02.1992. (vi) Such further relief, for which the petitioner is entitled may also be awarded with costs.” 2. The validity of Section 84(3) of the Act, has been upheld by this Court in M/s G.S. Pharmbutor Pvt. Ltd. Vs. State of Raj. & Ors., 2004(2) R.L.R. 546. All other questions have to be dealt with considered on facts and in law by the Appellate Authority constituted under the Act, which has since been replaced by the Rajasthan Value Added Tax Act, 2003. Nothing further survives in the writ petition. 3. The writ petition is accordingly dismissed.