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GST Committee Report on Registrations

Start Date :
Oct 12, 2015
Last Date :
Nov 16, 2015
00:00 AM IST (GMT +5.30 Hrs)
The Government of India intends to introduce the Goods and Services Tax (GST) in the country at the earliest. GST seeks to subsume many indirect taxes at the Central and State ...
Our view on draft business process on registration
#GST
My comment on #GSTRegForms
Our Comments/Suggestions on GST Registration process.
GST para 2 asumption.. not mentioned ITC carry forward.. ie. A business firm have only Export. All the Domestic Purchase will have the GST Input. But business firm Not claimable.. For this case the tax rates are to be lowered.. or if the business firm should allow to carry forward the ITC amount. Based on the Export the consumption of material etc., the ITC to be refunded..
#GSTRegNew:ISD Registration: Under para 2 (10) dealer can opt the registration of ISD. Under service tax law the same provision is there. Please make the suitable arrangement for multiple registration since dealers may be having administrative and marketing offices in multiple states.
#GSTRegNew: Para No 2.1(2) provides registration by dealer within 30 days from the date of dealers liability toward payment of GST. Please make the suitable translation provision for Unclaimed ITC of CENVAT Credit and Vat. Please also make the suitable provision for credit of Inputs and CG which is laying in Stock at the time of registration.
Sir, The Finance Ministry has asked for the suggestions, Comments and views regarding the goods and Service Tax under the following heads
1.GST Registration
2.GST Payment Proces
3.GST Refund Proces
From the general Public and genuine stakeholders in mygov.in before 31.10.2015. The time permitted for submitting the suggestions i.e. up to 31.10.2015 is very short. On behalf of our Assn, We request you to extend the time limit by another month.
thanks,
VVATVS
G. Thirumurugan
StateSecretory
Sir, As proposed in GST the certification in Form GSTR-8 by CA's should be confined ONLY TO CORPORATE ASSESSEES, the NON CORPORATE ASSESSES should be allowed free to get certified by the existing STP's as prevailing under Section 31(4) of the KVAT Act 2003 in augmenting the revenue and monitoring voluntary compliance to the State. In case if the STP's are neglected in the GST stream, they may become burden on the society, as they become un-employed. All the existing STP's may be treated as TRP
Greetings- even though the returns are proposed to be filed by STP/TRP why annual return is proposed to be certified by CA.STP is playing major role in collection of revenue in all most all State VAT ACts.Hence it may provide direct employment to about 3 to 5 lakh exisitng STP's and indirectly more than 10 lakh are employed and it is the major bread and butter to STP's.The Assessee has to appoint two different professionals for the same job as the monthly uploadings done by STP's.