<?xml version="1.0" encoding="UTF-8"?>
<?xml-stylesheet type="text/xsl" href="https://www.taxtmi.com/rss_sitemap/rss_feed_blog.xsl?v=1750492856"?>
<rss version="2.0" xmlns:atom="http://www.w3.org/2005/Atom">
  <channel>
    <title>Voluntary GST payment through DRC-03 requires self-ascertainment; a search-time deposit was refundable, with interest left open.</title>
    <link>https://www.taxtmi.com/highlights?id=101398</link>
    <description>A payment made during search proceedings is not voluntary merely because it is routed through Form GST DRC-03; for Section 74(5) to apply, the record must show independent self-ascertainment or prior ascertainment of liability. On the facts described, no notice had been issued, the search was still continuing, and the petitioner&#039;s records and devices remained under departmental control, so the deposit was treated as involuntary and refundable. The declaration in DRC-03 and the absence of DRC-04 were only relevant circumstances, not conclusive proof of voluntariness. Interest on the refund was left open because tax liability had not yet been finally adjudicated.</description>
    <language>en-us</language>
    <pubDate>Sat, 04 Jul 2026 08:15:43 +0530</pubDate>
    <lastBuildDate>Sat, 04 Jul 2026 08:15:46 +0530</lastBuildDate>
    <generator>TaxTMI RSS Generator</generator>
    <atom:link href="https://www.taxtmi.com/rss_feed_blog?id=909977" rel="self" type="application/rss+xml"/>
    <item>
      <title>Voluntary GST payment through DRC-03 requires self-ascertainment; a search-time deposit was refundable, with interest left open.</title>
      <link>https://www.taxtmi.com/highlights?id=101398</link>
      <description>A payment made during search proceedings is not voluntary merely because it is routed through Form GST DRC-03; for Section 74(5) to apply, the record must show independent self-ascertainment or prior ascertainment of liability. On the facts described, no notice had been issued, the search was still continuing, and the petitioner&#039;s records and devices remained under departmental control, so the deposit was treated as involuntary and refundable. The declaration in DRC-03 and the absence of DRC-04 were only relevant circumstances, not conclusive proof of voluntariness. Interest on the refund was left open because tax liability had not yet been finally adjudicated.</description>
      <category>Highlights</category>
      <law>GST</law>
      <pubDate>Sat, 04 Jul 2026 08:15:43 +0530</pubDate>
      <guid isPermaLink="true">https://www.taxtmi.com/highlights?id=101398</guid>
    </item>
  </channel>
</rss>