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GST ITC Risk on MSME Suppliers: How to Balance GSTR-2B Mismatch and 45-Day Payment Compliance?

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....ST ITC Risk on MSME Suppliers: How to Balance GSTR-2B Mismatch and 45-Day Payment Compliance? <br> Query (Issue) Started By: - NYAYASETU LEGAL ASSOCIATES LLP Dated:- 10-5-2026 Goods and Services Tax - GST <br> Got 4 Replies <br> GST<br> <br> Dear Professionals, We are facing a practical issue involving GST ITC compliance and MSME payment timelines and would appreciate views from professionals and industry peers. Most of our suppliers are GST registered and also covered under the MSME Act as micro/small enterprises. We generally make payments within 45 days from the date of acceptance, as required under section 15 of the MSMED Act. However, in many cases, suppliers either do not report our invoices in GSTR-1/IFF, delay filing GSTR-1, do not ....

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....file GSTR-3B, or report invoice details incorrectly, due to which invoices do not properly reflect in our GSTR-2B. This creates ITC risk for us, even though goods/services are received and payment is made within the MSME timeline. While reviewing the Act, we noted that if the buyer raises a written objection regarding acceptance of goods/services within 15 days, the date of acceptance is considered as the date on which such objection is removed by the supplier. Our queries are: * How are businesses protecting themselves from ITC loss where MSME suppliers fail to file GSTR-1/GSTR-3B or report invoices incorrectly? * Are companies treating GST non-compliance, incorrect invoice reporting, non-reflection in GSTR-2B, or non-filing of returns a....

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....s an "objection" under the MSMED Act to postpone the start of the 45-day period? * If this route is not advisable, what safeguards are being followed to balance MSME payment compliance and ITC protection? * Is it advisable to withhold or recover the ITC portion from future payments where the supplier defaults in GST compliance? * What best practices are companies following - vendor rating, blocking non-compliant vendors, payment hold mechanism, monthly GST reconciliation, indemnity clauses, etc.? Would appreciate practical inputs on what is being followed in real business situations to avoid/reduce ITC loss while remaining compliant with the MSMED Act. --Reply By: Shilpi Jain The Reply: You can consider mentioning in your contract tha....

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....t complying with GST requirements i.e. invoices appearing in GSTR2B is a pre-requisite for the payment to be released to the vendor. So this becomes a contractual condition and the 45 days will not begin unless this is fulfilled. --Reply By: YAGAY andSUN The Reply: This issue has become very common after stricter GST ITC scrutiny. Businesses are now balancing two risks simultaneously - MSMED delayed payment exposure and GST ITC denial risk. Common safeguards followed in practice are: * Vendor GST Compliance Monitoring Most companies conduct monthly GSTR-2B reconciliations and track whether suppliers: * file GSTR-1 and GSTR-3B on time, * correctly upload invoices, * remain active on the GST portal. Non-compliant vendors are flagged t....

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....hrough vendor rating systems. * Conditional Payment Release Many businesses release payments only after: * invoice reflection in GSTR-2B, or * confirmation of GST return filing. Some also temporarily retain the GST component until compliance is completed, backed by PO terms or vendor agreements. * Contractual Safeguards Vendor agreements increasingly include clauses covering: * supplier responsibility for GST compliance, * indemnity against ITC loss, interest, and penalty, * right to recover/adjust ITC loss from future payments, * obligation to rectify mismatches within specified timelines. * MSMED "Objection" Issue The objection mechanism under section 15 of the MSMED Act is primarily intended for deficiencies relating to goods....

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..../services, quantity, or quality. Treating GST non-compliance, incorrect invoice reporting, or non-reflection in GSTR-2B as an "objection" to defer the 45-day payment period is not yet a settled legal position. Though some businesses issue written GST compliance objections within 15 days, the approach may still be litigative if challenged before MSME Facilitation Councils. Hence, relying solely on this route may not be advisable unless strongly supported contractually. * Practical Industry Approach Businesses are increasingly: * onboarding compliant vendors only, * conducting GST health checks, * suspending repeat defaulters, * maintaining reconciliation follow-ups, * obtaining vendor undertakings, * preserving audit trails of mismat....

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....ch communications. Commercially, many companies also withhold or adjust the GST portion where ITC is at risk, particularly in repeat default cases, preferably with contractual backing. Overall, strong vendor compliance controls and contractual safeguards are proving more sustainable than depending solely on MSMED objection provisions. --Reply By: FCA Adv amit aggarwal The Reply: GST portal also have option to communicate with supplier. communicate with supplier it is consider as evidence in court of law. wat happen if payment not made to govt by MSME supplier - Hon'ble Allahabad HC in case of RT infotech 2025 (6) TMI 116 - ALLAHABAD HIGH COURT and Hon'ble madras high court in case of D.Y bethel enterprises 2021 (3) TMI 1020 - MADRAS HIGH....

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.... COURT clarified that purchaser can claim ITC and deptt should have initiate action against supplier. 2. supplier MSME not paid GST and such had not been reflected in GSTR 2B- GST deptt issued a notice to purchaser on excess claim of ITC, diff on GSTR-3B vs GSTR 2B, two option in your hands - a. if agreement enter with MSME - made a clause in it to make of GST to Govt on timely basis. b. if MSME supplier withhold GST payment - write a letter to jurisdiction proper officer of MSME supplier as a complaint. 3,4 & 5 = already covered in above response --Reply By: NYAYASETU LEGAL ASSOCIATES LLP The Reply: Thanks for wonderful and quick response... really helpful to unlock the issue. <br>***<br> Discussion Forum - K....

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....nowledge Sharing....