Chapter III Levy and collection of Tax
Section 8 Power to grant exemption from tax (1) Where the Central Government is satisfied that it is necessary in the public interest so to do, it may, on the...
Section 8 Power to grant exemption from tax (1) Where the Central Government is satisfied that it is necessary in the public interest so to do, it may, on the...
Section 7 Levy and collection (1) Subject to the provisions of sub-section (2), there shall be levied a tax called the Union territory tax on all intra-State supplies of goods...
Section 6 Authorisation of officers of central tax as proper officer in certain circumstances (1) Without prejudice to the provisions of this Act, the officers appointed under the Central Goods...
Section 5 Powers of officers (1) Subject to such conditions and limitations as the Commissioner may impose, an officer of the Union territory tax may exercise the powers and discharge...
Section 4 Authorisation of officers The Administrator may, by order, authorise any officer to appoint officers of Union territory tax below the rank of Assistant Commissioner of Union territory tax...
Section 3 Officers under this Act The Administrator may, by notification, appoint Commissioners and such other class of officers as may be required for carrying out the purposes of this...
Section 2 Definitions In this Act, unless the context otherwise requires,- (1) ‘‘appointed day’’ means the date on which the provisions of this Act shall come into force. (2) ‘‘Commissioner’’...
THE UNION TERRITORY GOODS AND SERVICES TAX ACT, 2017 No. 14 of 2017 Dated: 12th April 2017 An Act to make a provision for levy and collection of tax on...
Rule 162 Procedure for compounding of offences (1) An applicant may, either before or after the institution of prosecution, make an application under sub-section (1) of section 138 in FORM GST...
Rule 161 Continuation of certain recovery proceedings The 1[intimation or notice] for the reduction or enhancement of any demand under section 84 shall be issued in FORM GST DRC- 25. ***********************************************************************************************...