In the wake of this Union Budget 2023, it will be apt and pertinent to note here about a saying as follows, i.e., ‘A budget proposes about where your money is about to go rather than making us to contemplate about where it went’. Clinically, Budgeting is nothing but a financial planning towards balancing our estimated income in concomitance with the possible expenditures.
Government has issued a Notification No. 39/2021-CT dated 21.12.2021 vide which certain provisions viz. Section 7(1)(aa), 16(2)(aa), 74, 75(12), 83(1), 107(6), 129, 130, 151, 152, 168 of CGST Act,2017 are brought in to force w.e.f. 01.01.2022. It is pertinent to mention here that these provisions have been amended in the Finance Act,2021. Let’s discuss the amendments one by one.
Though the exporters were opting the RoDTEP Scheme, they had no idea about the rates to be notified under the scheme. However, there was hope prevailing among all the stakeholders that the rate under the new scheme will not be less than MEIS, if not more than that.
Finance Bill 2021 has proposed some amendments in CGST & IGST Act,2017. In this article, I would like to discuss these proposed amendments and it’s impact on day to day business/ procedure.
In this article, I wish to discuss one such effect when the Government issued a circular to clarify the ambiguity prevailed in determination of value of supply viz. whether FOB value or Invoice value has to be adopted as value of supply in case of Export of goods under GST regime.