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GST Input Tax Credit (ITC) available when goods received :Drill Down Analysis





The makers of the GST Law always intended it be a simpler tax regime, but they couldn’t ascertain as to when it started turning complex. The very object of ensuring ease of doing business has been diluted by the highly complex, inconsistent and illegitimate provisions of the law. Certain provisions are drafted in such a manner that they are self-contradictory and do not stand the test of legality. However, there is a great saying that every dark cloud has a silver lining and likewise GST has turned out to be an evolving law, brining better versions of itself and refining and ironing out the self-contradictions within itself. The GST Council has also been sporting enough to bring amendments wherever felt necessary. However, there are still many areas where the Council must decide immediately to ensure the desired object of ease of business.

Input Tax Credit (ITC) is the base of GST Law and its success or failure depends entirely on the manner ITC provisions are implemented in letter and spirit. Section 16 of the CGST Act, 2017 gives detailed conditions regarding entitlement of ITC and one shall have to religiously comply with them to become eligible to entitle the same. It is worth mentioning that there are many apparent ambiguities in such conditions and each & every condition u/s 16 has become a subject matter of debate. There are serious arguments for and against such conditions. One such condition requires entitlement of ITC by a registered person only if he has received the goods or services or both. Now, the question arises as to what will be construed as ‘received’? Whether only physical delivery of such goods is required or even symbolic or constructive delivery shall suffice. By way of this article, the author has attempted to give a point of view to this issue and how can the provisions be harmoniously interpreted in a manner so as to arrive at the correct and desired interpretation of the law.




In case of auction of mineral items such as coal, let us assume that sale of certain quantity of coal is made, say 500 MT at a certain price. Delivery order is issued to the buyer, who in turn makes complete payment to the auctioneer and the sale transaction is complete at this point of time. This delivery can be taken within a specified period of time at the instance of the buyer. The buyer, instead of taking physical delivery of the coal, sells the coal and transfers the delivery order to a trader after keeping a margin of ok profit and the goods remain at the possession of the coal company (Seller). The trader after keeping a margin for himself, sells it further to a manufacturer who will use it in his production process. This entire process may take more than a month or even in some cases, where there are many intermediaries, many months. Now a question arises as to since none of the intermediaries have taken physical delivery of the goods, are they allowed to avail ITC till physical delivery of goods is taken by the ultimate manufacturer? Will all the intermediaries have to pay output tax on their sales, but will not be able to claim ITC on their coal purchase?





Due to the unprecedented situation arising out of the Novel Corona Virus Pandemic, the Hon’ble Prime Minister of India imposed National Lockdown w.e.f. 25-03-2020. Accordingly, all non-essential supplies were stopped and movement of vehicle were halted altogether. In this situation, there are many sale contracts which are lying in the godowns of the seller even though the invoice has been generated, ownership has been passed to the buyer and in some cases full payment has been made. If a conservative interpretation of the Section is to understand that ITC can be availed only on actual receipt, will it not be an injustice with the buyers who have committed no mistake. Further, if this would have been the intention of the legislature, the Hon’ble Finance Minister would have definitely relieved the buyers by allowing availment of such ITC after the announcement of National Lockdown.








 
 
 

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