DPNC Global

Advisory on Difference in Value of Table 8A and 8C of Annual Return for FY 2023-24.

GST Insights for LinkedIn
The Good and Services Tax Network (GSTN) has issued an advisory on difference in value of Table 8A & 8C of Annual Returns (GSTR-9) for the FY 2023-24. Given are some queries answered by GSTN with the help of GST advisory.
S. No. Issue Reporting in GSTR 9 Notes
1. How to report an invoice issued in FY 2023-24 but reported late by the supplier in GSTR-1 after the due date of March’24, due to which it is not reflected in Table 8A of FY 2023-24. Taxpayer shall report such ITC in Tables 8C and 13 of GSTR 9 as it pertains to FY 2023-24.
2. How to report ITC reversed in current FY and subsequently reclaimed in next FY in GSTR-9 of FY 2023-24 due to delayed supplier payment beyond 180 days? Reclaimed ITC due to delayed supplier payment should be reported in Table 6H of GSTR-9 for FY 2024-25, not in Table 8C and Table 13 of GSTR 9 of FY 2023-24. Similar reporting is applicable for the ITC reclaimed as per Rule 37A
3. How to report ITC claimed and reversed in FY 2023-24 due to delayed receipt of goods, and subsequently reclaimed in FY 2024-25, as per Circular 170? Taxpayer shall report such ITC to be reclaimed in Tables 8C and 13 of GSTR-9 for FY 2023-24.
4. How to report FY 2022-23 invoices appearing in Table 8A of GSTR-9 for FY 2023-24 due to late supplier reporting after the due date of filing of GSTR-1 for the tax period of March 2023? This ITC belongs to FY 2022-23 and was auto-populated in its respective GSTR-9. It’s not required in Tables 8C and 13 of FY 2023-24 GSTR-9, as per instruction no. 2A, which specifies that Tables 4, 5, 6, and 7 should only contain current FY details.
5. How to report reclaimed ITC for an invoice belonging to FY 2023-24, which was claimed, reversed, and reclaimed within the same year. As per CBIC press release 3rd July 2019, ITC claim and reclaim should be reported in only one table (6H or 6B), not both. Hence, it shouldn’t be additionally reported as ITC reversal in Table 7 of GSTR-9 for FY 23-24.
Disclaimer
The information contained herein is in summary form and is prepared based on the provisions of GST and allied laws and related Rules, Circulars, Notifications therein. For details, please refer the relevant provisions. While the information is believed to be accurate to the best of our knowledge, we do not make any representations or warranties, express or implied, as to the accuracy or completeness of this information. Reader should conduct and rely upon their own examination and analysis and are advised to seek their own professional advice. We accept no responsibility for any errors it may contain, whether caused by negligence or otherwise or for any loss, howsoever caused or sustained, by the person who relies upon it.
To download the pdf file of the above post, please click on the download button below.

About Our GST Services

DPNC Global LLP is a full service consulting firm providing multi-disciplinary services to clients ranging from MNCs, Indian Corporates from across industries to Family Offices and UHNIs, both in and outside India.

Our GST & Indirect Tax Services team focuses on resolving practical issues faced by taxpayers and businesses while ensuring due compliance with complex legislation. Our services extend from timely and systematic support for GST compliances to advisory on a wide range of contemporary indirect tax issues and GST litigation support.

Our team of GST Consultants possesses in depth experience across diverse sectors and offer tailored solutions for tax optimization while ensuring due compliance with this complex and dynamic legal transaction regime law. To know more about our services, visit https://dpncglobal.com/gst-indirect-tax/