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Section 73(11)

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..... FY 2018-19 RCM liability paid at the time of GSTR 9 / 9C on Feb 2021 but ITC not claimed. Now the GST officer is demanding interest U/s 50 and penalty U/s 73(11) . Whether penalty u/s 73(11) is applicable? Any remedy/ argument available to us against penalty. Thanks - Reply By DR.MARIAPPAN GOVINDARAJAN - The Reply = Why? Please give the details of your case. - Reply By Shilpi Jain - The Reply = Is .....

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..... it an RCM relating to unregistered persons' supplies? Keeping aside the time limit was ITC eligible if it would have been paid on time? If yes, then plea of revenue neutrality can be taken to defend the penalty imposed. - Reply By Amit Agrawal - The Reply = One of the option is to pay interest (against delayed payment of RCM liability) within 30 days of the SCN (assuming the SCN is issued)) a .....

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..... nd seek relief from penalty u/s 73(8) . If SCN is not yet issued, you can pay interest (against delayed payment of RCM liability) and seek relief from penalty u/s 73(5) . If your situation is NOT covered in any of above two scenarios, please share more factual details and I will try to give other options / arguments. P.S. From your query, I have presumed that issue is not about 'alleged' w .....

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..... rong availment of any ITC ( as ITC was not claimed by you ) and you are willing to pay interest u/s 50(1) against delayed payment of RCM liability. If I misunderstood anything, kindly elaborate. These are ex facie views of mine and the same should not be construed as professional advice / suggestion. - Reply By KASTURI SETHI - The Reply = Dear Querist, From the drafting of your query, it appears t .....

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..... hat the SCN has been issued. You have not paid tax within due date. It is undisputed . Section 73 (11) has been invoked in the SCN. Thus the department's view is legally correct. - Reply By Komal Agarwal - The Reply = Thanks for your opinion. I am elaborating my query. RCM liability of 18-19 of Rs 6400/- in CGST and Rs 6400/- in SGST paid at the time of GSTR 9 / 9C on Feb 2021 without interest .....

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..... and penalty. GST officer had issued SCN u/s 73 in January 2024 and demanding interest U/s 50 and penalty of Rs 10,000 in each head U/s 73(11) . We are willing to pay interest. Question : Whether we have to pay penalty of Rs 10000 in cgst and 10000 in sgst u/s 73(11) ? Any remedy/ argument available to us against penalty. - Reply By Amit Agrawal - The Reply = Dear Querist, Potential arguments in f .....

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..... acts circumstances of your case, which are without prejudice to each other: A. As you have never challenged interest-liability its quantum, Dept. should not have issued subject SCN in view of Section 79(3) . Dept. should have simply asked you to pay interest and if not done, directly start recovery proceedings u/s 79 . As entire SCN itself is invalid, there is no question of penalty u/s 73(11) . K .....

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..... indly pay interest first using Form DRC-03 and attach the same with your reply. B. One can argue that penalty u/s 73(9) read with Section 73(11) is NOT mandatory as same is neither a fixed sum nor expressed as a fixed percentage, but same is 'fixed sum or a a fixed percentage, whichever is higher ' and then, plead for either or very less penalty considering very low quantum involved, using .....

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..... Section 126. C. As there is no demand raised for 'taxes' in the SCN ( as same is only for interest penalty, as per your last post ) considering Section 73(7) , penalty u/s 73(9) read with Section 73(11) should not be levied as this is case of non-payment of interest only not non-payment of taxes. Please note that these should not be taken as my views / opinion per se. But same are just so .....

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..... me line of argument/s if you want to contest the penalty. As jurisprudence of GST law is at nascent stage and still evolving, these arguments will be thoroughly tested in courts of law over a period in future. Also, if any amnesty scheme comes in future ( one cannot predict or to be sure about it happening, though many are hopeful ), your penalty will be dropped. But, for that, you need to contest .....

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..... the penalty and keep alive through judicial means (i.e. by challenging penalty, filing appeal so on). These are ex facie views of mine and the same should not be construed as professional advice / suggestion. - Reply By Amit Agrawal - The Reply = Please read in above post as: ....... keep matter alive ..... - Reply By KASTURI SETHI - The Reply = Sub-section (9) is mentioned in Section 73 (11) of .....

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..... CGST Act . Both sub-sections contain the word, 'shall'. The word, 'shall' signifies that imposition of penalty is mandatory. The Proper Officer has no power to reduce penalty. The benefit of reduced penalty is not available as time limit has been crossed. So penalty of Rs.10,000/- under both CGST and SGST separately has to be deposited. Total amount of penalty of Rs.20,000/- is pay .....

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..... able. Time limits crossed in all respects. - Reply By Padmanathan Kollengode - The Reply = Dear querist, pls clarify this aspect: Whether demand for tax (RCM) has been raised and appropriated in the SCN or SCN itself is only for interest and penalty? - Reply By Komal Agarwal - The Reply = Dear Sir, SCN is for RCM liability + Interest + Penalty. We had replied that we had already paid RCM liability .....

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..... . Now they are asking for Interest and Penalty. - Section 73(11) - Query Started By: - Komal Agarwal Dated:- 9-4-2024 Last Replied Date:- 16-4-2024 Goods and Services Tax - GST - Got 10 Replies - GST - Discussion Forum - Knowledge Sharing, reply post by an expert, personal opinion Tax Management India - taxmanagementindia - taxmanagement - taxmanagementindia.com - TMI - TaxTMI - TMITax .....

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