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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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Ashok Kumar Sekhri
8 years 5 hours ago
We request the following amendment after the words cost accountant "or an Advocate or a 5 years experienced GSTP (as STP) and shall submit a copy of audited annual accounts......."
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Pradosh Pattnaik
8 years 5 hours ago
Amendment Sr.No.25
We request the following amendment after the words cost accountant" or an advocate or 5 years experienced Service Tax preparator ( STP) and shall submit a copy of audited annual accounts...
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Manish Sojitra
8 years 5 hours ago
Point no 25 " we Request the following amendment
After the words cost accountant “ or a GSTP having 5 years of experience (as STP) and passed the examination conducted by NASIN and shall submit a copy of audited annual accounts......"
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Rahul Jain
8 years 5 hours ago
Sir, as per S.no. 6, there seems to be a proposed amendment for removing RCM on inward supplies from unregistered dealers. As a chartered accountant, I request you to at least keep the disclosure mandatory for the tracking purpose. To brief, there should be a disclosure section for services taken from unregistered dealers for the benefit of revenue.
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Lovey Mehra
8 years 5 hours ago
Reply to GST consultation paper July 18 -CGST / IGST is enclosed in pdf file
mygov_15316475943135881.pdf
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Govardanan Babu
8 years 5 hours ago
Mutual Fund Distributors are not collecting GST from their Service Receivers,i.e. Asset Management Companies. GST is paid by Mutual Fund Distributors from their pocket. May consider exemption
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Meeta Wadhwa
8 years 5 hours ago
#AmendmentSrNo15-The proposal to remove interest on reversal of ITC is a welcome step but it should be retrospective. Further, this provision itself is creating undue hardship for genuine transactions. Especially in large organizations such kind of tracking is really tedious. Thus, attest limit of 180 days should be increased to 1 year.
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JEGADEESAN
8 years 5 hours ago
Gradually you may charge late fee against wilful defaulters. Further penalty for E way bill is very high and also any small mistakes such as clerical error or Mistakes in HSN etc while generating e way bill may be ignored.
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JEGADEESAN
8 years 5 hours ago
RECOVERY IN CASE DEFAULT BY SELLER
In case the Sales details have not been declared by the seller Input not allowed to the buyer even the buyer has paid the entire amount including tax to the seller.
This should be changed and the recovery should be initiated against the seller instead of buyer.
ABOLISH LATE FEE/PENALTY FOR E WAY BILL
Late fee is very abnormal to the small dealers. Hence you are requested to charge Interest on tax amount only .Further late fee should be abolished at present
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JEGADEESAN
8 years 5 hours ago
CHANGES REQUIRED IN RETURN
Please introduce single return with Multiple excel based annexure .You may refer the www.ctd.tn.gov.in
Further all the excel based Utility should allow copy & paste functions. Because typing each word is not possible to the high volume of transactions case.
It will be better if you avoid the json or any other format.
REVISED AND CHALLAN CORRECTION MECHANISM
Rev. Return filing option should be introduced for all kinds of returns.
Challan Correction Mechanism also
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