CHANGE IN TIME LIMITATIONS AND PENALTY UNDER GST
SECTION 73, SECTION 74 & NEW SECTION 74A
The CBIC vide Notification No. 17/2024-Central Tax dated September 27th, 2024 notified the provisions of sections 118, 142, 148 and 150 of the Finance (No. 2) Act, 2024, to be applicable from 1st November, 2024. Among other important changes a significant change was made in section 73 & 74 of CGST Act, 2017. A new section 74A was inserted by superseding the section 73 & 74 of CGST Act, 2017. The Section 74A was made applicable from financial Year 2024-25 onwards.
The effect of new section
| Key Point | Section 74A | Section 73 | Section 74 |
| Applicability | F.Y. 2024-25 Onwards | Upto F.Y. 2023-24 | Upto F.Y. 2023-24 |
| Event for issuance of Notice | Tax Not Paid or Short Paid, Erroneous Refund, ITC Wrongly Availed or Utilised. | Tax Not Paid or Short Paid, Erroneously Refunded, ITC Wrongly Availed or Utilised | Tax Not Paid or Short Paid, Erroneously Refunded, ITC Wrongly Availed or Utilised by the reason of fraud or any wilful-misstatement or suppression of facts to evade tax, |
| Time Limit for Notice | within 42 months from the due date for furnishing of annual return | 3 months before the expiry of 3 years | 6 months before the expiry of 5 years |
| Time Limit for Order | Within 12 months from the issuance of the notice | 3 Years | 5 years |
| Penalty (Non-Fraud) (Fraud Cases) | 10% of the tax due or ₹10,000, whichever is higher 100% of tax dues. | 10% of the tax due or ₹10,000, whichever is higher | 100% of the tax due. |
| Penalty- If Tax + Interest paid BEFORE SCN (Non-Fraud) (Fraud Cases) | Nil 15% | Nil —— | 15% ——— |
| Penalty- If Tax +Interest paid After SCN (Non-Fraud) (Fraud Cases) | Nil If paid within 60 days from SCN 25% If paid within 60 days from SCN 50% If paid within 60 days from the communication of Order. | Nil If paid within 30 days from SCN | 25% If paid in 30 Days 50% After 30 days |
KEY DINSTINCTIONS (Before & After Amendment)
- No separate limitation for fraud cases. Common time period of 42 months further extendable by six months has been provided in all cases.
- Time period has been extended up to One Year for passing of the order from the date of SCN.
- Earlier payment of tax and interest will attract lesser penalty. Even, in fraud cases minimum penalty of 15% has been provided if the amount in question has been deposited before SCN along with interest. The penalty of 50% has been provided in case the tax and interest is deposited with 60 days from passing of order.
- Overriding effect on all relaxations in penalty has been provided in cases where any amount of self-assessed tax or any amount collected as tax has not been paid within a period of thirty days from the due date of payment of such tax. The resultant effect would be application of 10% of penalty even in non-fraud cases
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