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Appeal to Commissioner Appeals

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..... Demand of GST with interest and penalty confirmed by issuing Order In Original. The taxpayer will be filing an appeal against the same with Commissioner Appeals. Can he pay only the tax demand without paying interest and penalty Strictly Under Protest while filing the appeal to avoid the accumulation of interest figure if the decision goes against him? - Reply By KASTURI SETHI - The Reply .....

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..... = Filing an appeal is itself a kind of protest. - Reply By Sadanand Bulbule - The Reply = Dear querist. A tax payer is normally hurt/aggrieved by the orders which are not inconsanance with the prevailing laws and the binding judicial rulings Therefore an appeal is the civilised way of protest. Very meaningful answer Sirji. - Reply By KASTURI SETHI - The Reply = Sh.Sadanand Bulbule Ji, .....

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..... Sir, Thanks a lot for your support and elaboration of the reply. You have completed my reply by way of elaboration. A finishing touch indeed. - Reply By Kaustubh Karandikar - The Reply = Thanks all the experts for your kind advice. In my view there is no specific provision unlike erstwhile Excise provisions, to pay the tax 'UNDER PROTEST'. Therefore, even if you pay, .....

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..... since there is no specific provision, the interest might be charged if the decision goes against you till that date, even though you pay the tax under protest. - Reply By KASTURI SETHI - The Reply = 'Under Protest' is an ingredient of principles of natural justice. Rather, Human Right. - Reply By Shilpi Jain - The Reply = Agree with Kasturi sir. Also the assessee can pay the tax amo .....

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..... unt demanded to avoid increase in interest liability. However, in the past it has been seen that the government has introduced amnesty schemes due to which these kind of persons (who have paid the amount demanded just to avoid increase in interest) were at loss. They were not allowed reduction in demand. All these kind of amnesty schemes are very discouraging for the honest and risk averse tax .....

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..... payers. - Reply By KASTURI SETHI - The Reply = Another Amnesty Scheme is in the offing. Wait for the year 2024 ! - Reply By Padmanathan Kollengode - The Reply = While filing the Appeal, the form takes to pre-deposit form. In that form 10% maybe changed to higher percentage say 100%. This would achieve your goal I believe. Legally also, Section 107 (6) reads as: (6) No appeal shall .....

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..... be filed under sub-section (1), unless the appellant has paid- (a) in full, such part of the amount of tax, interest, fine, fee and penalty arising from the impugned order, as is admitted by him; and (b) a sum equal to ten per cent. of the remaining amount of tax in dispute arising from the said order subject to a maximum of twenty-five crore rupees, in relation to which the appeal has been .....

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..... filed. So, 10% seems to be only minimum amount for filing appeal. This view I am putting forth as payment through DRC-03 can have following consequence. 1. Depart may contest that any amount paid in DRC-03 is voluntarily paid and hence not protested. Though it may not stand the test of law, it may can prolong litigation. 2. You may have to file refund application against DRC-03 exp .....

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..... laining all the issues etc. Alternatively, if higher amount is paid as pre-deposit I believe it doesn't lose character of pre-deposit and hence getting refund back on success in appeal will be easier. - Appeal to Commissioner Appeals - Query Started By: - Kaustubh Karandikar Dated:- 9-2-2023 Goods and Services Tax - GST - Got 8 Replies - GST - Discussion Forum - Knowledge Sharing, reply .....

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..... post by an expert, personal opinion Tax Management India - taxmanagementindia - taxmanagement - taxmanagementindia.com - TMI - TaxTMI - TMITax .....

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