Attachment of equivalent-value properties as proceeds of crime upheld; preventive attachment order and confirmation sustained; no independent ED reinv...
Broker trading-system "technical glitch" redefinition and narrowed incident-reporting regime for large IBT/STWT brokers requiring 2-hr notice and 14-w...
These Regulations (superseding the 2015 rules) require exporters to file an Export Declaration Form (EDF) with the specified authority and, for non-EDI cases, transmit authenticated EDFs to the Authorised Dealer (AD), thereby formalising export declarations and linkage to ADs; they prescribe realisation periods-generally 15 months (18 months if invoiced/settled in INR) and contract-specific terms for project exports-thereby fixing time limits for repatriation; empower ADs to verify genuineness before credit/debit and to close or update EDPMS/IDPMS entries, thereby imposing AD monitoring and reporting duties; permit ADs to allow reduction in export realisation, set-off of export receivables against import payables, third-party receipts/payments, and controlled advance remittances (with restrictions for gold/silver), thereby regulating adjustments and advance flows; impose reporting timelines for EDPMS/IDPMS and require ADs to maintain internal policies/SOPs, thereby mandating compliance, monitoring and customer grievance/appeal mechanisms.
These Regulations (superseding the 2015 rules) require exporters to file an Export Declaration Form (EDF) with the specified authority and, for non-EDI cases, transmit authenticated EDFs to the Authorised Dealer (AD), thereby formalising export declarations and linkage to ADs; they prescribe realisation periods-generally 15 months (18 months if invoiced/settled in INR) and contract-specific terms for project exports-thereby fixing time limits for repatriation; empower ADs to verify genuineness before credit/debit and to close or update EDPMS/IDPMS entries, thereby imposing AD monitoring and reporting duties; permit ADs to allow reduction in export realisation, set-off of export receivables against import payables, third-party receipts/payments, and controlled advance remittances (with restrictions for gold/silver), thereby regulating adjustments and advance flows; impose reporting timelines for EDPMS/IDPMS and require ADs to maintain internal policies/SOPs, thereby mandating compliance, monitoring and customer grievance/appeal mechanisms.
Note: It is a system-generated summary and is for quick reference only.