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interest lability on ITC when payment to supplier is made after 180 days, Goods and Services Tax - GST |
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interest lability on ITC when payment to supplier is made after 180 days |
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Hello, one of my client's purchased goods and availed ITC in October 2018. But he made the entire payment to the supplier only in FY 20-21. My query is in which financial year can the revenue officer raise SCN for interest in this case? Should it be FY 19-20 where the period of 180 days is over or till the period payment is made in full settlement? Posts / Replies Showing Replies 1 to 4 of 4 Records Page: 1
First, IMHO, then prevailing second proviso to Section 16(2) of the CGST Act, 2017 read with Rule 37 of the CGST Rules, 2017 are NOT sufficient to demand ITC reversal or interest in given situation by the querist. Second, w.r.t. specific query raised & ignoring my views above, relevant period to issue SCN is FY 2019-2020 if Dept. insists on demanding interest in given situation in my humble view. This is with the understanding that prescribed period of 180 days lapsed in FY 2019-2020. These are ex facie views of mine and the same should not be construed as professional advice / suggestion or recommendation.
One may also refer to discussion we had under Issue Id: 118960 bearing subject-line as 'Applicability of ITC reversal as per S.16(2)'. These are ex facie views of mine and the same should not be construed as professional advice / suggestion or recommendation.
(i) A SCN can be issued after the expiry of a period of 180 days. (ii) Interest liability arises from the date of issue of the invoice by the supplier to the date of making full payment including tax to the supplier. (Prior to 1.10.23, an amount equal to ITC availed was required to be added to output tax liability of the recipient). (iii) Hence recurring SCN will continue to be issued till the entire amount is paid in full i.e. up to the period 20.21 in this situation, if the SCN is issued in the year 19-20.
SCN can be issued in the year in which 180 days expire Page: 1 |
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