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Stakeholder Consultation on Proposed Changes to GST Laws

Start Date :
Jul 10, 2018
Last Date :
Jul 17, 2018
00:00 AM IST (GMT +5.30 Hrs)
In order to engage with the stakeholders and invite comments from the public at large, the Department of Revenue has decided to make available the proposed amendments in CGST Act, ...
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Niteen Joshi
7 years 5 months ago
1) We have seen that some parties have not filed their GSTR1 for some months or entire period and our inward supply details are not reflecting in our GSTR2A as of now. In such case , those NOT FILING GSTR1 should be questioned and purchaser's set off should be allowed. Also make some provision that purchaser can register complaint against such defaulters for further action. This will become deturrent for non filers. And justice can be done to purchasers.
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Mehul Bheda
7 years 5 months ago
Return filing of GST Should be same as of Income tax, Offline Form in Excel and Java Utility and Generating XML file for uploading and getting Acknowledgement for the same and also having option to Revise the same, and Filing of Purchase details should be provided and then Reconciliation should be made for Input Tax Credit and if any mismatch Assesses should get time to make follow up with defaultiing party or difference should be paid to government and then recover from defaulting party.
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Sanket Parwal
7 years 5 months ago
GST payment must be on receipt basis i.e. in the month in which a Company received the payment from the customer, the GST should become due for payment. Present system, payment of GST without receipt of payment from the Customer, is hardship on the Company as its create burden on the cash flow of the Company.
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DAKTAR MAHAR
7 years 5 months ago
Dear sir,
GST- kindly request you GST-3B one option is add sir-itc decrease option and all download file exp.GSTR-1 ,3B,GSTR-2A EXPORT IN EXCEL FORMAT SO WE CAN EASILY DO THE WORK.
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CA Arpit Haldia
7 years 5 months ago
Request you to suitably amend Provisions of Section 54 of CGST Act, 2017 read with Rule 89(5) of CGST Rules, and to allow Tax Paid on Input Services to be considered as Part of Net ITC for the purpose of computation of Refund on account of Inverted Duty Structure and eligible for refund.
mygov_153145770716213951.pdf
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Sneha Agrawal
7 years 5 months ago
Return shud be simple, gathering all information related to outward supplies & Input in one return only. Suggest for Qtrly return instead of monthly return. Very important, separate field for ITC Availed with respect to Section 17(5)(C) of the CGST Act. For Ex: If a taxable person supplies Works Contract Services & Other services, then it will be difficult to take ITC credit fully at GST portal. (Person hv to segregate ITC in blocked nature as stated in sec 17(5)(c) & Other Input Tax Credit.
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Madhusudan Nema
7 years 5 months ago
Sir, 1.Please waive late fees for the dealer which turnover up to 50 lac, because small dealear is only one person who engaged all his/ her responsibility in whole day and many times he could not filed return in timely. Their income also very small and their financial position is poor. He/she not able to paid late fees.
2. For Turnover upto 1 crore lease take quaterly return .
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Brajesh Sah
7 years 5 months ago
I wants to suggest that there should not be any discrimination for NIL return or return with turnover. Late filling fee should be equal for all with one common rule. For late filling fee, I suggest that, it should be a certain percentage of net liability, computed on per day basis, so that small dealer have to pay small late fee according to their liability.
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Brajesh Sah
7 years 5 months ago
I also wants to suggest that GST challan form should be simple as whatever amount a dealer pays in his/her account as GST, It remains in his/her account till he/she do not set off the liability. Some time a dealer puts mistake in filling the proper box of the GST challan and as a result he/she remains unable to set off his/her liability after the amount remains in his/her account.
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Brajesh Sah
7 years 5 months ago
I wants to suggest that payment of GST challan should not be restricted to 8:00AM to 8:00PM as without setting off liability one can not submit his/her GST return and thus it restricts the time available for filling the GST return.
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