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PUNISHMENT UNDER SECTION 132, Goods and Services Tax - GST

Issue Id: - 118988
Dated: 16-2-2024
By:- Sadanand Bulbule

PUNISHMENT UNDER SECTION 132


  • Contents

Dear all

Under Section 132 of the GST Act, whoever commits or causes to commit and retain the benefits arising out of any of the offences mentioned therein, they can be punished with imprisonment for up to five years and a fine.

So the query is, to determine the quantum of actual evasion of tax to co-relate the quantum of punishment of imprisonment under Section 132, whether prior adjudication under Section 74 is mandatory for determination of tax not paid or short paid or erroneously refunded or input tax credit wrongly availed or utilised by reason of fraud or any wilfull-misstatement or suppression of facts.? If yes,

The supplementary questions are like this:

From the date of arrest of the accused under Section 69[1] for the offence/s under Section 132, the charge-sheet shall be filed within sixty [60] days in the designated judicial Court for trail. Whereas in terms of Section 74[2], the proper officer shall issue the notice under sub-section (1) at least six months prior to the time limit specified in sub-section (10) for issuance of order which reads asunder:

Section 74[10]. The proper officer shall issue the order under sub-section (9) within a period of five years from the due date for furnishing of annual return for the financial year to which the tax not paid or short paid or input tax credit wrongly availed or utilised relates to or within five years from the date of erroneous refund.

Experts to pour their thoughts as regards to how these requirements sound well?

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Posts / Replies

Showing Replies 1 to 8 of 8 Records

Page: 1


1 Dated: 16-2-2024
By:- Sadanand Bulbule

Dear all

Here I wish to add that, charge sheet has to be filed within sixty days from the date of arrest of the accused under Section 69[1] of the GST Act. Otherwise the accused has a right to default bail under Section 167 of the Criminal Procedure Code[Cr PC].


2 Dated: 21-2-2024
By:- KASTURI SETHI

Sh.Sadanand Bulbule Ji,

Sir, In this context, Board's. Instruction No. 04/2022-23 [GST-Investigation], dated 1-9-2022 and Instruction No. 2/2022-23 (GST-Investigation), dated 17-8-2022 are worth reading. Both are based on Supreme Court Judgements.


3 Dated: 21-2-2024
By:- KASTURI SETHI

4 Dated: 21-2-2024
By:- KASTURI SETHI

5 Dated: 21-2-2024
By:- Sadanand Bulbule

Dear Sirji

Thank you so much for sharing the relevant CBIC GUIDELINES on the subject under discussion. Hope the field functionalities would follow them with proper application of mind. 🙏🙏
Warm regards.


6 Dated: 22-2-2024
By:- KASTURI SETHI

Sh.Sadanand Bulbule Ji,

Sir, It gives me immense pleasure, if my efforts yield results. Actually, the feeling of ecstasy comes into play, if my contribution is recognized by you.

Thanks & regards.

K.L.SETHI


7 Dated: 22-2-2024
By:- Sadanand Bulbule

Dear Sirji

This discussion forum reflects the genuine problems being faced by the honest taxpayers. The simple reason is, many authorities don’t know what actually is djudication meant for. But they know the concept of adjudication with self image carrying non-sensical ideas. Real adjudication begins with self knowledge, self discipline and self accountability as constant as breathing, the breathing of facts with application of pure mind. Once it is achieved , the hallucination of so called revenue evaporates There are no right reasons to do deliberately wrong things.

In this regard, your pouring of sensible thoughts on any issues has dispelled the darkness in the heart paving the bright path towards destination of pro-law adjudication. Rather like me, many more would be eager to see your opinion as benchmark to follow. This is possible only by you and few like other panel of experts on TMI as well.
I remain grateful to all the expert contributors.


8 Dated: 22-2-2024
By:- KASTURI SETHI

Right, Sir.

My scope of horizon is always enlarged by you whenever we interact on any issue either on TMI form or WhatsApp forum. This is a fact.


Page: 1

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