Faceless assessment and registration procedures are updated through electronic communication, revised recovery rules, extended deadlines, and replacem...
Risk-based selective vessel boarding requires accurate declarations and preserves master and agent liability where physical inspections are not select...
Permanent-establishment reassessment cannot revisit scrutinised disclosures; extended reopening fails without undisclosed material facts and within st...
Self-sealing permission for electronic sealing (RFID) of containerised cargo at factory or warehouse premises remains valid unless withdrawn, suspended or cancelled by the jurisdictional Principal Commissioner or Commissioner for non-compliance, misuse of the facility or any other valid reason, and all such permissions must be reflected in the EDI system. As a facilitation measure, permissions granted by the Commissionerate are subject to review every three years. For review, exporters must submit the prescribed request letter, earlier permission, authorised signatory details, valid IEC/PAN/GSTN and other registrations, proof of premises, declaration of previous cases or SCNs, and particulars of export goods with HSN codes.
Self-sealing permission for electronic sealing (RFID) of containerised cargo at factory or warehouse premises remains valid unless withdrawn, suspended or cancelled by the jurisdictional Principal Commissioner or Commissioner for non-compliance, misuse of the facility or any other valid reason, and all such permissions must be reflected in the EDI system. As a facilitation measure, permissions granted by the Commissionerate are subject to review every three years. For review, exporters must submit the prescribed request letter, earlier permission, authorised signatory details, valid IEC/PAN/GSTN and other registrations, proof of premises, declaration of previous cases or SCNs, and particulars of export goods with HSN codes.
Note: It is a system-generated summary and is for quick reference only.