Certain relevant notes
1. The concept of ‘Tax period’ and ‘Financial Year’
‘Tax Period’ has been defined in terms of section 2(106) of the CGST/ SGST Act, 2017, to mean the period for which the return is required to be furnished. Thus, tax period under the GST law would either refer to a month or a quarter for taxable persons who are registered under regular scheme or under the Composition Scheme as the case may be. Financial Year will comprise of a number of tax periods. It is relevant to note that the assessment under the GST Act is done for tax period and not for Financial Year.
2. Financial Year v. Accounting Year as per Books of Accounts
The Companies Act, 2013 defines ‘Financial Year’ to be the period ending on the 31st day of March every year. However, a company which is a holding, subsidiary or associate company of any company incorporated outside India which is required to follow a different accounting year for consolidation of its accounts may be allowed to follow any period as its accounting year, otherwise than a financial year. Thus, certain companies may maintain their books of accounts for any period of 12 months (say, January to December) to align their books of accounts with the reporting requirements of respective holding, subsidiary or associate company incorporated outside India. In such instances, there may arise a question as to what could be the ‘Financial Year’ and the relevant turnover that is required to be declared in Annual Return in FORM GSTR-9 and Reconciliation Statement in FORM GSTR-9C. As discussed above, FORM GSTR-9 is an Annual Return which is filed for a financial year being tax periods commencing from April 1st of a year and ending on 31st March of the subsequent year. Since, FORM GSTR-9C is a Reconciliation Statement of the Annual Return with the audited Financial Statements, there has to be a uniformity in the two periods for which a comparison/ reconciliation is being made out. Thus, it is imperative that the audited Financial Statements should also be drawn for the same period as that of the Annual Return in FORM GSTR-9, to entail possible reconciliation A moot question relates to – how does one reckon the financial year since the GST regime commenced on 1st July, 2017. There are certain clauses in FORM GSTR 9C – which reads “unbilled revenue at the beginning of the financial year”. In such a situation should one consider the turnovers as at 1st April 2017 (commencement of the financial year) or as at 1st July 2017 (commencement date of the GST regime). It is suggested that in such a situation the turnovers as at 1st July, 2017 (commencement date of the GST regime) be considered and suitably disclosed by way of a note.
3. Newly established business registered under GST in the midst of a financial year
Where a registered person has obtained registration under the GST law during the financial year, the financial year will still remain April to March. However, the registered person may mention the date of obtaining the registration in FORM GSTR-9 and FORM GSTR-9C for better understanding and clarity. For the period 2017-18, the financial year to be mentioned in FORM GSTR-9 and FORM GSTR-9C has to be 2017-18. Further, registered person may mention that the period is from July 2017 to March 2018 for better understanding and clarity.
Conclusion:
The ‘Financial Year’ for the purpose of Annual Return in FORM GSTR – 9 and Reconciliation Statement in FORM GSTR – 9C shall be commencing from April to March. Recommended