Input Tax Credit availability must trigger distribution only when legal entitlement arises, not merely on invoice issuance.

Input Tax Credit availability must trigger distribution only when legal entitlement arises, not merely on invoice issuance.Case-LawsGSTRule 39(1)(a) of the GST Rules survives constitutional challenge when read with the entitlement scheme: the phrase “i…

Input Tax Credit availability must trigger distribution only when legal entitlement arises, not merely on invoice issuance.
Case-Laws
GST
Rule 39(1)(a) of the GST Rules survives constitutional challenge when read with the entitlement scheme: the phrase “input tax credit available for distribution in a month” must be construed to mean ITC that has become legally available after satisfaction of entitlement conditions in Section 16(2). The Rule does not mandate distribution merely on invoice issuance; distribution is required in the month the recipient becomes entitled to credit. Show cause notices alleging delayed distribution are remitted for fresh adjudication applying this construction; petitioners given two months to file replies where applicable.
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