Discussions Forum | ||
Home ![]() ![]() ![]() ![]()
A Public Forum.
Submit new Issue / Query
My Issues
My Replies
|
||
ITC availed after time limit prescribed as per section 16(4), Goods and Services Tax - GST |
||
|
||
ITC availed after time limit prescribed as per section 16(4) |
||
GSTR 3B for the FY 2020-21 was filed on 31 March 2022. Now department is raising concern over availment of ITC as the same has been availed beyond time prescribed in section 16(4) and 16(5). Guidance required regarding fight with the department over the said issue. Posts / Replies Showing Replies 1 to 1 of 1 Records Page: 1
The department's contention hinges on Section 16(4) of the CGST Act, which mandates that ITC for any invoice or debit note must be availed before the due date of filing GSTR-3B for September of the following financial year or the date of filing the annual return, whichever is earlier. For FY 2020-21, this deadline was extended due to the pandemic and ultimately fixed as 30 November 2021. If ITC was claimed in GSTR-3B filed on 31 March 2022, it technically falls outside the prescribed timeline. To counter the department’s objection, one can argue based on principles of substantial compliance and absence of revenue loss, especially if the supplier has paid the tax and transactions are genuine and reflected in GSTR-2A/2B. Judicial precedents have, in some instances, favored taxpayers on such grounds. Also, if there was ambiguity or notification-based extension, the same should be cited. A detailed representation with evidence of eligibility, matching entries, and bona fide intent should be submitted to contest the disallowance. Page: 1 |
||