Rated 4.9/5 by 312+ Chennai clientsZero penalty record across all filings24-hour response · WhatsApp-first supportOffices: Maduravoyal, Nerkundram & Nolambur (upcoming)15+ years of expert tax & compliance consulting500+ active clients across 243 Chennai areasRated 4.9/5 by 312+ Chennai clientsZero penalty record across all filings24-hour response · WhatsApp-first supportOffices: Maduravoyal, Nerkundram & Nolambur (upcoming)15+ years of expert tax & compliance consulting500+ active clients across 243 Chennai areas
Chennai North · Anna Nagar Division · Kellys GST Returns

Kellys GST Returns Filing for residential Businesses

Qualified GST Returns for Kellys (PIN 600010) and adjacent Kilpauk — on fixed, transparent fees

Kellys residential and healthcare units around Kellys Junction by qualified experts with a 15+ year, zero-penalty record. Call 9566-068-468.

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Quick Answer

Which provision governs interest on delayed payment of tax in Kellys, Chennai?

Section 50 of the CGST Act governs interest on delayed payment. Interest is generally payable on the net cash portion of tax liability that remains unpaid beyond the due date until payment is made.

Transparent Pricing

GST Returns Filing in Kellys — Plans & Pricing

Fixed fees · Zero hidden charges · Call 9566-068-468 for a custom quote.

MonthlyAnnualSave 2 Months
Regular filing of Nill Returns
Nill Returns
GSTR-1 & 3B filed on time
₹500/month
Annual: ₹6,000₹5,000 (Save ₹1,000)

  • GSTR-1 Monthly Filing (by 11th)
  • GSTR-3B Monthly Filing (by 20th)
  • Nil Return Filing
  • GSTR-2B ITC Reconciliation
  • E-invoice Compliance Support
  • Transactions / Month (invoices): Up to 5
  • Turnover Limit: Up to ₹10L
  • WhatsApp Document Support
  • Filing Acknowledgement via WhatsApp
  • GST Advisory Calls (per quarter)
  • Dedicated Account Manager
  • Priority 48-Hour Support
Traders & Low Volume businesses
Starter
GSTR-1 & 3B filed on time
₹750/month
Annual: ₹9,000₹7,500 (Save ₹1,500)

  • GSTR-1 Monthly Filing (by 11th)
  • GSTR-3B Monthly Filing (by 20th)
  • Nil Return Filing
  • GSTR-2B ITC Reconciliation
  • E-invoice Compliance Support
  • Transactions / Month (invoices): Up to 50
  • Turnover Limit: Up to ₹40L
  • WhatsApp Document Support
  • Filing Acknowledgement via WhatsApp
  • GST Advisory Calls (per quarter)
  • Dedicated Account Manager
  • Priority 48-Hour Support
Most Popular ⭐
Professional
ITC Reconciliation
₹1,500/month
Annual: ₹18,000₹15,000 (Save ₹3,000)

  • GSTR-1 Monthly Filing (by 11th)
  • GSTR-3B Monthly Filing (by 20th)
  • Nil Return Filing
  • GSTR-2B ITC Reconciliation
  • E-invoice Compliance Support
  • Transactions / Month (invoices): Up to 300
  • Turnover Limit: Up to ₹2 Cr
  • WhatsApp Document Support
  • Filing Acknowledgement via WhatsApp
  • GST Advisory Calls (per quarter): ✓ (Limited)
  • Dedicated Account Manager
  • Priority 48-Hour Support
High-volume businesses
Premium
Unlimited + priority
₹5,000/month
Annual: ₹60,000₹50,000 (Save ₹10,000)

  • GSTR-1 Monthly Filing (by 11th)
  • GSTR-3B Monthly Filing (by 20th)
  • Nil Return Filing
  • GSTR-2B ITC Reconciliation
  • E-invoice Compliance Support
  • Transactions / Month (invoices): Unlimited
  • Turnover Limit: Unlimited
  • WhatsApp Document Support
  • Filing Acknowledgement via WhatsApp
  • GST Advisory Calls (per quarter)
  • Dedicated Account Manager
  • Priority 48-Hour Support

Swipe to see all plans

Prices exclude GST. For enterprise pricing, call 9566-068-468.

Why FilingPro?

Why Kellys Clients Choose FilingPro

Expert GST Returns in Kellys — qualified professionals, 15+ years experience, zero-penalty track record.

Honest scope at honest pricing

500 rupees per filing for the standard monthly engagement covers the work described and nothing more. Heavy notice litigation, refund applications and registration amendments are separate engagements at separate fees. We say so on day one rather than discover it during a billing dispute.

Continuity through the same partners

The firm has run continuously since well before the 2017 GST rollout. Same registered office, same partners signing returns. A query on a 2026 filing can be answered ten years from now without locating a former employee or reconstructing a working paper from a back-up tape.

GSTR-2B Reconciled ITC

Every ITC claim in your GSTR-3B is matched line-by-line against GSTR-2B before submission. Kellys clients have zero ITC reversal demand notices on record.

Zero Section 47 Late Fees

GSTR-1 filed by the 11th, GSTR-3B by the 20th — every month, without fail. Kellys clients have a zero late-fee record across 15+ years of practice.

RCM Register Maintained

Reverse charge on advocate fees, GTA, security services and director payments — all tracked in a documented monthly RCM register with cash payment and ITC claim tracking.

E-Invoice Compliance

For Kellys businesses crossing the ₹5 crore AATO threshold, we generate IRN and QR codes through the Invoice Registration Portal and reconcile IRN logs against GSTR-1 monthly.

Key Benefits

What Kellys Clients Get

Every GST Returns Filing engagement delivers measurable, guaranteed outcomes — expert professionals, on time, every time.

Composition Scheme Where Beneficial
Each March we evaluate Composition Scheme eligibility for Kellys clients — switching where it reduces compliance and tax. CMP-02 opt-in, CMP-08 quarterly tax, GSTR-4 annual.
Litigation-Ready Records
Sales registers, purchase registers, GSTR-2B downloads, RCM workings and reconciliation sheets retained for 7 years — meeting Section 36 record-retention and supporting any future audit.
Proactive Notice Prevention
Our reconciliation discipline catches GSTR-1 vs GSTR-3B variances before period close — the same variances that the department flags via Section 61 ASMT-10 scrutiny notices.
Multi-State GSTIN Coordination
For Kellys headquartered businesses with branches in other states, all GSTINs are managed under one engagement with consolidated MIS, ITC distribution via ISD where applicable.
Section 17(5) Blocked Credit Tracked
Blocked credits — motor vehicles for personal use, food and beverages, club memberships, works contract for immovable property — identified and reversed before any audit query.
Interest Section 50 Minimised
Where ITC is sufficient, output liability is set off entirely through the electronic credit ledger — minimising interest under Section 50 on the net cash portion.
Comparison

GSTR-1 (Outward) vs GSTR-3B (Summary)

Why this matters here — Across Kellys, the business activity radiating outward from Kellys Junction and nearby commercial pockets. Practitioners note that with quick access via Kellys Bus Stop and feeder routes connecting Kellys to the rest of Chennai.

AspectGSTR-1 (Outward)GSTR-3B (Summary)
Evidentiary weight in litigationRead as declaration of outward turnover; Gujarat HC in Aap and Co v Union of India treated portal disclosures as a transactional record rather than a final assessmentTreated as the self-assessment instrument under Section 59; figures form the platform for any Section 73 or Section 74 demand and the Section 107 pre-deposit base
Governing provisionSection 37 of the CGST Act read with Rule 59Section 39(1) of the CGST Act read with Rule 61(5)
Nature of documentStatement of outward supplies; declaratory and invoice-levelSelf-assessment return quantifying net cash liability and ITC set-off
Due date for monthly filer11th of the succeeding month under Notification 83/2020-Central Tax20th of the succeeding month; 22nd for Tamil Nadu QRMP under Notification 21/2024
QRMP track availabilityQuarterly with monthly Invoice Furnishing Facility for B2B uploadsQuarterly return; monthly PMT-06 cash deposit at fixed sum or self-assessment method
Correction mechanismForm GSTR-1A within the same period under Notification 12/2024; otherwise amendment tables in the succeeding periodNo revision facility; correction routed through Section 39(9) in the next period or DRC-03 voluntary payment
Late fee anchorSection 47(1) — fifty rupees per day of default capped per Notification 04/2018Section 47(1) plus Section 50 interest on net cash leg per the proviso operationalised by Notification 16/2021
Judicial rectification spaceMadras HC in Sun Dye Chem and several writ orders permitted typographical corrections via subsequent amendment tablesSupreme Court in Union of India v Bharti Airtel limited mid-period correction but preserved Section 39(9) rectification through prospective returns
ITC interactionFurnishing of GSTR-1 by supplier auto-populates recipient's GSTR-2B; no ITC claim is made through this formTable 4 is the operative claim point; restricted to GSTR-2B reflection under Section 16(2)(aa) and filtered for Section 17(5) blocks
RCM disclosureNotified RCM outward entries appear under Table 4B; the recipient does not pay through this formRecipient declares RCM liability under Table 3.1(d) and discharges through the electronic cash ledger under Section 49(4)
Rule 138E consequenceNon-furnishing does not directly block e-way bill generation under the present Rule 138E frameworkTwo consecutive months of non-furnishing triggers e-way bill block; restored on furnishing after refresh
Suo motu cancellation exposurePersistent non-furnishing is one cause among several; rarely the standalone trigger in cancellation ordersSix months of continuous non-furnishing (or three tax periods for composition) is a direct Section 29(2)(c) ground
Documents Required

Documents for GST Returns Filing

Share documents via WhatsApp to 9566-068-468. No office visit required for Kellys clients.

Sales invoices / e-invoices issued (B2B & B2C)
Purchase invoices with supplier GSTIN and HSN
Credit and debit notes issued and received
Bank statement covering the filing period
Latest GSTR-2B auto-drafted ITC statement
Previous month GSTR-3B filed acknowledgement
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Statutory Deadlines

Compliance deadlines that matter

Miss any of these and the next consequence kicks in automatically.

Deadlines in this neighbourhood — Across Kellys, Kellys businesses in the healthcare arm find that GST exemption boundaries for healthcare services and the taxable margin on hospital pharmacy supplies attract regular scrutiny. Practitioners note that the cluster of residential, healthcare, education businesses that defines Kellys's commercial fabric.

Trigger eventDaysFormConsequence
Tax period closes for a regular monthly filer of outward supplies11 daysGSTR-1Section 47 late fee at fifty rupees per day for taxable returns or twenty rupees per day for nil returns attaches from the twelfth, and recipient credit visibility through GSTR-2B is delayed.
Tax period closes for a regular monthly filer of summary return20 daysGSTR-3BSection 47 late fee attaches from the twenty-first along with Section 50 interest on the net cash liability computed under Rule 88B.
Supplier invoice remains unpaid beyond the second-proviso threshold under Section 16(2)180 daysGSTR-3B (Table 4(B) reversal)Input tax credit availed on the unpaid invoice is required to be added back with interest from the date of original availment; recredit follows upon eventual payment.
Annual return GSTR-9 filing for a financial year273 daysGSTR-9Section 47(2) late fee of 0.25% of State turnover (subject to caps) plus loss of Section 16(4) ITC residual claim window if not filed
Reconciliation statement GSTR-9C for taxpayers above ₹5 crore turnover273 daysGSTR-9CReconciliation between audited financials and annual return remains unattested; weakens defence against subsequent Section 65 audit
ITC final claim for invoices of a financial year243 daysGSTR-3B claim windowCredit permanently forfeited under Section 16(4); attempting to claim post-deadline attracts Section 74 fraud allegation with 100% penalty
GSTR-1 monthly filing deadline11 daysGSTR-1Invoices not uploaded by the 11th fail to appear in the buyer's GSTR-2B for that month; buyer-side credit denial under Section 16(2)(aa); supplier-side late fee under Section 47
GSTR-3B monthly filing deadline for taxpayers above ₹5 crore20 daysGSTR-3BSection 47 late fee at ₹50 per day; Section 50 interest at 18% pa on net cash liability; Rule 138E e-way block after two consecutive defaults

Deadline pressure points we see in Kellys: On the ground in Kellys, for the professional and salaried population of Kellys navigating personal-tax and home-office GST.

Forms Library

Forms used in this engagement

Forms most asked about here — Across Kellys, where hospitals and specialty clinics typically file GST on the pharmacy arm and operate under Section 12AA non-tax-treatment for healthcare services.

PMT-06Challan for Payment under QRMP and General Use

Payment challan used to deposit tax, interest, late fee and other amounts into the electronic cash ledger; under QRMP, the monthly cash discharge for the first two months of a quarter is effected through this challan using either the fixed-sum method or the self-assessment method.

Twenty-fifth of the succeeding month for QRMP monthly cash discharge; on or before due date of return for other usage Common Portal (taxpayer)
ASMT-10Notice for Intimating Discrepancies in Return after Scrutiny

Notice issued by the proper officer under Section 61 communicating discrepancies noticed during scrutiny of a furnished return; calls upon the registered person to explain the discrepancy and pay any tax payable along with interest.

Issued by the proper officer based on his scrutiny outcome; reply deadline is generally thirty days Jurisdictional Range Officer
DRC-03Intimation of Payment Made Voluntarily

Form used to intimate voluntary payment of tax, interest, late fee or penalty under GST, including payment before issuance of a show-cause notice under Section 73(5) or 74(5), payment in response to a pre-show-cause communication in DRC-01A, or self-corrective payment following internal reconciliation.

Any time the registered person elects to make a voluntary payment Common Portal (taxpayer)
GSTR-1Statement of Outward Supplies

Monthly or quarterly statement of outward supplies of goods or services capturing B2B invoice details, B2C consolidated entries, exports, credit and debit notes, advance receipts and HSN summary; drives recipient ITC visibility through GSTR-2B.

Eleventh of the succeeding month for monthly filers; thirteenth of the month succeeding the quarter for QRMP filers Common Portal (taxpayer)
GSTR-1AAmendment to Statement of Outward Supplies

Optional facility introduced with effect from August 2024 permitting amendments to GSTR-1 entries of the same tax period before furnishing the corresponding GSTR-3B; repairs an earlier procedural lacuna where invoice corrections had to wait for the succeeding period.

Between furnishing of GSTR-1 and furnishing of GSTR-3B for the same tax period Common Portal (taxpayer)
GSTR-2AAuto-drafted Statement of Inward Supplies

Dynamic statement reflecting outward supply entries uploaded by counterparties as and when they are furnished; updates continuously and is used primarily for variance analysis and supplier follow-up rather than direct ITC claim under the current Section 16(2)(aa) regime.

Updates continuously based on supplier filings Common Portal (system-generated)
GSTR-2BAuto-drafted ITC Statement

Static statement of input tax credit generated on the fourteenth of every month covering supplier filings from the eleventh of the previous month to the eleventh of the current month; the operative anchor for ITC claim under Section 16(2)(aa).

Generated on the fourteenth of every month and frozen thereafter for that tax period Common Portal (system-generated)
GSTR-3BSummary Return for Payment of Tax

Summary return capturing aggregate outward supply, eligible input tax credit, reverse-charge liability, net tax payable, set-off through credit and cash ledgers and payment of interest and late fee; the operative instrument for discharge of monthly liability.

Twentieth of the succeeding month for monthly filers; twenty-second or twenty-fourth for QRMP filers depending on State group Common Portal (taxpayer)

GST Returns Filing in Kellys, Chennai 600010

Businesses registered in Kellys share the Chennai North jurisdiction, and their statutory matters route through the same Anna Nagar Division each time. Because PIN 600010 sits inside the Chennai North jurisdiction, the handling office for Kellys stays consistent across years, which matters when filings or approvals span cycles. Kellys (PIN 600010) falls under the Anna Nagar Division of the Chennai North, the jurisdiction that handles statutory matters for businesses at this PIN. Every Kellys engagement we open begins with the basics: PIN 600010, the Anna Nagar Division, and the coordinates 13.0844, 80.2461 that anchor the locality.

Each GST Returns Filing cycle for Kellys reflects its commercial rhythm — invoices generated near Anna Nagar Roundtana, expenses routed through the Kellys Bus Stop freight network. Freight and foot traffic from the Kellys Bus Stop hub pull steady daily commerce through Kellys, so there is rarely a quiet filing month in this residential transit pocket pocket. The businesses clustered around Anna Nagar Roundtana in Kellys drive the bulk of the GST Returns Filing workload we see each cycle. Working in Kellys brings a logistical edge: proximity to Anna Nagar Roundtana and the Kellys Bus Stop corridor keeps physical document handling fast.

For a healthcare business in Kellys, the GST Returns Filing scope is rarely generic; we tailor the checklist to how that sector actually transacts. healthcare units around Kellys share recurring GST Returns patterns — input-credit timing, vendor reconciliation, and sector-specific documentation. GST Returns Filing for healthcare businesses in Kellys hinges on getting the sector's recurring entries right the first time. The healthcare character of Kellys commerce influences everything from invoice formats to the supporting documents a GST Returns Filing review needs.

Document intake for Kellys clients runs over WhatsApp, so there is no office visit and no paper shuffle for a GST Returns Filing engagement. Turnaround for Kellys GST Returns Filing is deterministic — fixed fee, a scoped timeline, and a same-business-day acknowledgement once filed. From the first GST Returns Filing cycle, a Kellys engagement is set up to be audit-ready rather than reconstructed under pressure later. We keep a repeatable GST Returns checklist for Kellys so nothing in the cycle is improvised or missed.

From the same Kellys team we also serve Kilpauk and other nearby localities without re-onboarding clients. We treat Kellys and Kilpauk as one catchment for GST Returns Filing, which keeps documentation and turnaround consistent. Serving Kellys and Kilpauk from one team keeps GST Returns Filing turnaround identical across the cluster. Businesses straddling Kellys and Kilpauk get a single GST Returns point of contact rather than two.

Recurring gaps in Kellys education records are the first thing our GST Returns Filing review closes out. The longer we serve Kellys, the more precisely we predict where a GST Returns file needs attention. Over several cycles in Kellys, the recurring GST Returns Filing issues cluster around a predictable short list we screen for early. Each engagement in Kellys adds to a record of what the Chennai North jurisdiction expects, sharpening the next GST Returns file.

Incorporating in Kellys comes with jurisdiction, registration and GST Returns steps that we sequence so nothing stalls the launch. Shifting principal place of business to Kellys means updating jurisdiction to the Chennai North, and we manage the paperwork end-to-end. First-time GST Returns Filing for a Kellys business is where getting the basics right saves years of cleanup later. We onboard new Kellys entities onto a GST Returns Filing cadence that is audit-ready from the very first cycle.

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Expert Guide

GST Returns Filing in Kellys — Complete Guide

The Quarterly Return Monthly Payment scheme, available to those with aggregate annual turnover below five crore rupees, decouples cash discharge through PMT-06 from the consolidated quarterly GSTR-3B. Behavioural public finance literature suggests such default-rule design measurably affects compliance burden distribution in micro and small enterprises. The 42nd GST Council recommendation that introduced QRMP should be read in this lineage of choice-architecture reform rather than as a mere procedural simplification.

GST Returns Filing in Kellys, Chennai

Monthly GSTR-1 and GSTR-3B for Kellys businesses are filed by qualified professionals with full GSTR-2B reconciliation and Section 17(5) blocked-credit screening before submission.

GST Consultant in Kellys — Monthly Compliance Expert

A dedicated GST consultant in Kellys handles ITC reconciliation against GSTR-2B, e-invoice IRN sequencing, RCM register upkeep, and ASMT-10 reply preparation.

GSTR-1 and GSTR-3B Filing in Kellys

On-time filing of GSTR-1 by the 11th and GSTR-3B by the 20th in Kellys prevents Section 47 late fees of ₹50/day and Section 50 interest at 18% per annum on net cash liability.

GST Annual Return Expert in Kellys — GSTR-9 & GSTR-9C

For Kellys businesses above ₹2 crore turnover, year-end GSTR-9 reconciliation with HSN summary and (above ₹5 crore) self-certified GSTR-9C is delivered before the 31st December deadline.

Get Expert Help Today
Qualified professionals handle your GST Returns in Kellys. WhatsApp documents — we begin within 24 hours. From ₹500/monthly. Free consultation.
WhatsApp for Free Consultation Call @ 9566-068-468
From ₹500/monthly
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Offices at Maduravoyal, Nerkundram & Nolambur (upcoming)
Key Facts — GST Returns Filing in Kellys
GSTR-2B reconciled ITC — only verified credits claimed, zero Rule 36(4) reversal demand for Kellys clients.
GSTR-1 filed by the 11th every month — Section 47 late fee never applies.
GSTR-3B Section 16 ITC eligibility checked line-item — blocked credits under 17(5) flagged before claim.
E-invoice IRN logs reconciled with GSTR-1 monthly for Kellys businesses above ₹5 crore AATO.
RCM register maintained — advocate fees, GTA, security and director payments tracked, paid in cash, ITC reclaimed in same period.
Annual GSTR-9 with HSN summary and Table 8 reconciliation filed before 31 December — no Section 47 ₹200/day late fee.
GSTR-9C self-certification for Kellys businesses above ₹5 crore — turnover, ITC and tax cross-tied to audited books.
ASMT-10 scrutiny notice replied via ASMT-11 with full GSTR-2A vs GSTR-2B vs books reconciliation within the 30-day window.
QRMP scheme evaluated each year for eligible Kellys businesses below ₹5 crore AATO — quarterly GSTR-3B with PMT-06 monthly tax.
Composition scheme reviewed each March — CMP-02 opt-in, CMP-08 quarterly tax, GSTR-4 annual where it reduces compliance and tax.
People Also Ask — GST Returns in Kellys
Who must file GSTR-1 and GSTR-3B every month?
Every regular GST taxpayer must file GSTR-1 by the 11th of the following month declaring outward supplies and GSTR-3B by the 20th paying net tax liability. Composition taxpayers file CMP-08 quarterly and GSTR-4 annually instead. Persons under QRMP file GSTR-3B quarterly with PMT-06 monthly tax.
What happens if GSTR-3B is filed after the 20th?
Section 47 levies late fee of ₹50/day (₹25 CGST + ₹25 SGST) for taxpayers with output liability and ₹20/day for nil returns. Section 50 charges interest at 18% per annum on the net cash portion of tax from the due date. Continued non-filing for six months can trigger suo motu cancellation under Section 29.
Can ITC be claimed if the supplier has not filed GSTR-1?
No. Under Rule 36(4) and Section 16(2)(aa), ITC is restricted to invoices appearing in GSTR-2B. Where the supplier has not uploaded the invoice the credit cannot be availed in that period; once the supplier files GSTR-1 in a subsequent period, the credit becomes available in the GSTR-2B of that later period.
Is e-invoicing mandatory for businesses in Chennai?
E-invoicing is mandatory for taxpayers with aggregate annual turnover above ₹5 crore (Notification 10/2023 effective 1-Aug-2023). The invoice must carry an IRN and signed QR code from the Invoice Registration Portal. Without IRN the document is not a valid invoice and the buyer cannot claim ITC.
How is reverse charge GST paid and claimed back?
Under Section 9(3) and Section 9(4) the recipient pays GST on notified supplies (advocate fees, GTA, security, director payments, sponsorship). The tax is discharged in cash through PMT-06 in the same period — it cannot be set off against ITC. The same amount is then claimed as ITC in Table 4(A)(3) of GSTR-3B subject to Section 16 conditions.
What is the penalty for late filing of GSTR-9 annual return?
Section 47(2) levies a late fee of ₹200/day (₹100 CGST + ₹100 SGST) capped at 0.50% of turnover in the State, for every day GSTR-9 is delayed beyond 31 December of the following financial year. Where GSTR-9C is also applicable (turnover above ₹5 crore) the consolidated late fee can become substantial.
Is GSTR-3B treated as a final return for assessment under the CGST Act?

Section 59 treats every return as a self-assessment. The Gujarat High Court in Aap and Co v Union of India observed that GSTR-3B is a transactional return not an exhaustive substitute for the omitted GSTR-2. It supports but does not foreclose assessment.

What is the pre-deposit obligation under Section 107(6) for filing a first appeal?

Section 107(6) requires a pre-deposit of ten per cent of the disputed tax, subject to a statutory cap. The Madras High Court in Tvl Sri Murugan Trading clarified the deposit attaches only to the disputed tax leg, not interest or penalty.

When is GSTR-9 due and when does GSTR-9C self-certification apply?

GSTR-9 is due on or before the thirty-first of December following the financial year, under Section 44 read with Rule 80. GSTR-9C self-certified reconciliation is additionally required where aggregate annual turnover crosses five crore rupees.

What is the late fee structure for delayed GSTR-9 furnishing?

Section 47(2) imposes a late fee of two hundred rupees per day (one hundred CGST plus one hundred SGST) for delayed GSTR-9, capped at a percentage of state turnover under successive notifications. The fee attaches automatically from the first day past due.

How is wrong-head tax recovered under Section 77 of the CGST Act?

Section 77 permits refund of tax wrongly paid under one head where the supply is later determined to fall under another. Discharge of the correct head followed by refund of the wrong head is the prescribed sequence under Notification 35/2020-Central Tax.

What is the time limit under Section 16(4) for claiming belated ITC?

Section 16(4) sets the outer date for claiming credit for a financial year as the thirtieth of November of the following year, or the date of furnishing the annual return, whichever is earlier. Belated credit beyond this lapses.

What Kellys clients want to know before signing: On the ground in Kellys, in the residential transit pocket micro-market of Kellys; where hospitals and specialty clinics typically file GST on the pharmacy arm and operate under Section 12AA non-tax-treatment for healthcare services.

Expert Guide

A complete walkthrough — Gst Returns

Localised for Kellys, Chennai — where hospitals and specialty clinics typically file GST on the pharmacy arm and operate under Section 12AA non-tax-treatment for healthcare services.

Reading this guide locally — Across Kellys, around the Kellys Junction catchment of Kellys. Practitioners note that Kellys businesses in the healthcare arm find that GST exemption boundaries for healthcare services and the taxable margin on hospital pharmacy supplies attract regular scrutiny.

What is GST returns filing

Return categories across taxpayer types

The return calendar varies sharply by taxpayer category. Regular registered persons file GSTR-1 and GSTR-3B monthly or under QRMP. Composition taxpayers under Section 10 file CMP-08 quarterly and GSTR-4 annually. Input Service Distributors file GSTR-6 monthly. Non-resident taxable persons file GSTR-5 monthly. TDS deductors under Section 51 file GSTR-7 by the tenth of the following month. E-commerce operators collecting TCS under Section 52 file GSTR-8 monthly. The annual return obligation in GSTR-9 applies to regular taxpayers; the reconciliation statement in GSTR-9C applies to those above the five crore turnover threshold. Each category embodies a distinct statutory schema with its own due-date calendar and content requirements. The Kellys entity must first determine its category before designing its compliance workflow.

Constitutional and federal architecture of GST returns

Article 246A of the Constitution, inserted by the 101st Amendment in 2016, confers concurrent power on Parliament and State Legislatures to make laws with respect to goods and services tax. The dual GST architecture means that the same return — GSTR-3B — services both CGST under the Central Act and SGST under the corresponding State Act, with IGST handled separately under the Integrated Act. The return filing portal is administered by the Goods and Services Tax Network, a Section 8 company in which the Union and States hold equity together. This cooperative-federal design distinguishes the Indian return architecture from the European Union model where each Member State runs its own VAT return regime under harmonised directives. The Kellys taxpayer files a single return that simultaneously discharges CGST and SGST obligations to two distinct sovereigns.

Statutory foundation in Section 39 read with Rule 61

GST returns filing in India is anchored to Section 39 of the Central Goods and Services Tax Act 2017, which obliges every registered person other than a composition taxpayer to furnish a monthly return capturing outward supplies, inward supplies, input tax credit availed and tax payable. Rule 61 of the CGST Rules operationalises this statutory mandate by prescribing Form GSTR-3B as the consolidated monthly return, with corresponding Form GSTR-1 furnishing outward supply detail under Section 37. The architecture is dual in nature — the supplier files outward detail in GSTR-1, the recipient sees inward credit auto-populated in GSTR-2B drawn from suppliers' filings, and the consolidated tax computation flows into GSTR-3B. The OECD International VAT/GST Guidelines describe this kind of structured information exchange as the bedrock of a credit-method consumption tax, and the Indian construct closely mirrors the recommended template. The Kellys registered person operating within this framework therefore engages with three distinct return obligations each month — outward supply furnishing, inward credit acceptance, and consolidated payment.

GSTR-1 mechanics and outward supply reporting

Time of supply versus date of invoice

GSTR-1 entries are keyed to invoice date rather than time of supply per se, but the two should coincide where Section 31 invoicing timelines are observed. Section 13 prescribes time of supply for services as the earlier of invoice date (if issued within 30 days) or payment receipt; Section 12 prescribes the earlier of invoice date (if issued within the prescribed period) or removal of goods. Where invoicing is delayed beyond the Section 31 window, time of supply defaults to the supply event itself and the return obligation crystallises in that period even if the invoice is dated later. This asymmetry creates a category of return-period misalignment that the Kellys registered person must monitor through invoice-aging reports keyed to supply events.

Amendments and the November cut-off

Section 39(9) permits amendment of any particular furnished in a return until the 30th of November following the end of the financial year or the date of furnishing the annual return, whichever is earlier. The amendment is given effect through Table 9 of GSTR-1 for the period in which the original entry was furnished. Beyond the November cut-off, the only recourse is voluntary disclosure through DRC-03 with applicable Section 50 interest. The cut-off was originally September and was extended to November through the Finance Act 2022 reflecting the policy concern that legitimate reconciliations were being lost to a tight statutory window. The Kellys taxpayer must therefore complete prior-year reconciliation cycles before the November close to preserve amendment access.

Invoice furnishing and IFF interaction

QRMP taxpayers may use the Invoice Furnishing Facility under Notification 82/2020-Central Tax to upload B2B invoices for the first two months of a quarter, ensuring that recipient GSTR-2B captures the credit timely. IFF data flows into the quarter-end GSTR-1 automatically. The facility addresses a structural concern in quarterly filing — that recipients of QRMP suppliers would otherwise wait a full quarter to see credit in GSTR-2B, creating a working-capital asymmetry. The 53rd GST Council meeting recommended further refinements to IFF reporting categories. The Kellys QRMP supplier serving registered recipients should treat IFF furnishing as an operational priority rather than an optional convenience.

GSTR-3B mechanics and consolidated computation

Table 3 outward supply heads

Form GSTR-3B Table 3 aggregates outward supplies into four categories — Table 3.1(a) for taxable outward supplies other than zero-rated, nil-rated and exempted; Table 3.1(b) for outward zero-rated taxable supplies; Table 3.1(c) for other outward supplies (nil-rated, exempted); Table 3.1(d) for inward supplies liable to reverse charge; and Table 3.1(e) for non-GST outward supplies. The structure permits horizontal reconciliation against GSTR-1 only in aggregate, since GSTR-3B does not capture invoice-level detail. The aggregate-level reconciliation creates the well-known GSTR-1 vs GSTR-3B comparison report that the department uses for Section 61 scrutiny. The Kellys registered person must therefore perform internal reconciliation of these aggregates against GSTR-1 totals before submission of each GSTR-3B.

Table 4 input tax credit structure

Table 4 of GSTR-3B records ITC across three sub-tables. Table 4A captures total ITC available, with line items for import of goods (4A1), import of services (4A2), inward supplies liable to reverse charge (4A3), inward supplies from ISD (4A4) and all other ITC (4A5). Table 4B captures ITC reversed, with sub-items for Rule 42 and 43 reversals (4B1) and other reversals (4B2). Table 4C computes net ITC available as 4A minus 4B. Table 4D captures ineligible ITC under Section 17(5). The revised Table 4 structure, effective September 2022 per Notification 14/2022-Central Tax, was designed to give the department granular visibility into reversal categories that were previously netted in 4A5.

Table 6 tax payment and ledger settlement

Table 6 of GSTR-3B records the tax payment computation. Output liability from Table 3 is set off against ITC from Table 4C in the prescribed sequence under Section 49(5) read with Rule 88A — IGST credit first against IGST output, then against CGST and SGST in any order; CGST credit only against CGST and IGST; SGST credit only against SGST and IGST. The residual cash liability is discharged through the electronic cash ledger. Section 49(10) read with Notification 9/2022 permits inter-head transfer in the cash ledger through Form PMT-09, which mitigates earlier rigidity. The Kellys taxpayer must therefore plan ITC utilisation sequence to minimise cash outflow within the statutory utilisation rules.

ITC eligibility under Section 16

The 180-day payment proviso

The second proviso to Section 16(2) requires the recipient to make payment to the supplier within 180 days of the invoice date. Where payment is not made within this window, the ITC availed must be reversed in the return for the period following the 180-day expiry, with interest under Section 50. The reversed credit may be reclaimed in the return for the period in which payment is subsequently made. The provision protects supplier cash flow and prevents indefinite ITC retention by recipients on long-overdue invoices. The reversal-and-reclaim mechanism creates a return-period entry that the Kellys taxpayer must track through a payment-aging report keyed to invoice dates.

The four cumulative conditions of Section 16(2)

Section 16(2) of the CGST Act prescribes four cumulative conditions for ITC availability. First, possession of a tax invoice or debit note issued by a registered supplier per Section 16(2)(a). Second, receipt of the goods or services per Section 16(2)(b), with the Explanation deeming receipt where goods are delivered to a third party on the registered person's direction. Third, tax actually paid to the government per Section 16(2)(c). Fourth, furnishing of the return under Section 39 per Section 16(2)(d). Section 16(2)(aa), inserted by the Finance Act 2021, added the further condition that the supplier must have furnished the invoice detail in GSTR-1 and the detail must appear in the recipient's GSTR-2B. Each condition operates independently and failure on any limb defeats credit, however perfect the others may be.

Section 17(5) blocked credits

Section 17(5) enumerates categories of inward supply on which ITC is permanently blocked regardless of business use. The list includes motor vehicles below thirteen-seater capacity (with limited exceptions for further supply, transport of passengers, driving training and goods carriage), vessels and aircraft (with similar exceptions), food and beverages, outdoor catering, beauty treatment, health services, life and health insurance, membership of clubs, travel benefits to employees on vacation, works contract services for construction of immovable property other than plant and machinery, goods and services received for personal consumption, and goods lost stolen destroyed written off or disposed of by way of gift or free samples. The Section 17(5) determination is independent of the Section 16(2) determination — an inward supply may pass all four Section 16(2) tests yet remain blocked under Section 17(5).

What Kellys clients usually ask next: On the ground in Kellys, where hospitals and specialty clinics typically file GST on the pharmacy arm and operate under Section 12AA non-tax-treatment for healthcare services; for the professional and salaried population of Kellys navigating personal-tax and home-office GST.

Glossary

Plain-English glossary for this service

Terms you will hear in this area — Across Kellys, where hospitals and specialty clinics typically file GST on the pharmacy arm and operate under Section 12AA non-tax-treatment for healthcare services.

Aggregate Turnover

Aggregate Turnover is defined in Section 2(6) of the CGST Act as the sum of all taxable supplies excluding inward supplies on reverse charge, exempt supplies, exports and inter-State supplies of persons having the same PAN, computed on an all-India footing. It governs QRMP eligibility, GSTR-9C applicability, e-invoicing thresholds and HSN reporting digit levels.

Composition Scheme

Composition Scheme is the simplified tax payment scheme under Section 10 of the CGST Act available to small taxpayers with aggregate turnover up to one and a half crore rupees for goods or fifty lakh rupees for services. Tax is paid at a flat percentage of turnover without availing input tax credit, with CMP-08 furnished quarterly and GSTR-4 annually.

CMP-08

CMP-08 is the statement for payment of self-assessed tax by composition taxpayers under Section 10. It is furnished quarterly on or before the eighteenth of the month succeeding the quarter and accompanies cash discharge at the applicable composition rate of one, five or six per cent depending on the category of supply.

GSTR-4

GSTR-4 is the annual return furnished by a composition taxpayer under Section 10 read with Rule 62. The return consolidates four quarterly CMP-08 statements and the inward supply summary for the financial year and is furnished on or before the thirtieth of April of the succeeding financial year.

GSTR-7

GSTR-7 is the monthly return furnished by deductors under Section 51 carrying particulars of GST TDS deducted, deductee GSTINs, contract values and payment particulars. The corresponding TDS credit flows to the deductee through GSTR-2A. The due date is the tenth of the succeeding month.

GSTR-8

GSTR-8 is the monthly return furnished by e-commerce operators required to collect tax at source under Section 52. It carries supplies made through the platform, returns and tax collected. The corresponding TCS credit flows to the seller-supplier through GSTR-2A. The due date is the tenth of the succeeding month.

GSTR-10

GSTR-10 is the final return furnished by a registered person whose registration has been cancelled or surrendered. It captures closing stock on which input tax credit had been availed and the tax payable on such stock under Section 29(5). The return is furnished within three months of the cancellation date or order, whichever is later.

DRC-03

DRC-03 is the form used to intimate voluntary payment of tax, interest, late fee or penalty under GST. It is used for payments under Section 73(5) or 74(5) before issuance of a show-cause notice, for replies to pre-show-cause communication in DRC-01A, and for self-corrective payments arising from internal reconciliation.

DRC-01A

DRC-01A is the pre-show-cause communication under Rule 142(1A) by which the proper officer intimates the taxpayer of tax, interest and penalty proposed to be raised, before issuance of a formal show-cause notice. Part A captures the proposed demand and Part B contains the taxpayer reply where the demand is contested.

ASMT-10

ASMT-10 is the scrutiny notice issued by the proper officer under Section 61 read with Rule 99 communicating discrepancies noticed in a furnished return. The taxpayer is required to respond in ASMT-11 within the time stipulated; a satisfactory response leads to closure in ASMT-12, while an unsatisfactory response escalates to audit or demand.

ASMT-11

ASMT-11 is the reply furnished by the registered person to a scrutiny notice in ASMT-10. The reply explains the discrepancy noted by the proper officer with supporting documentary evidence and reconciliation, and may be accompanied by voluntary payment in DRC-03 where the taxpayer accepts the discrepancy.

IRN

Invoice Reference Number is the unique sixty-four character identifier issued by the Invoice Registration Portal against each B2B invoice, debit note or credit note for a taxpayer above the notified e-invoicing aggregate annual turnover threshold. Rule 48(5) treats an invoice without an IRN as not issued, and Rule 48(4) read with Notification 13/2020-CT operationalises the framework.

Cost of Non-Compliance

Real-world penalty exposure

Numerical examples showing tax + interest + penalty across common default scenarios.

Penalty exposure typical of this micro-market — Across Kellys, Kellys businesses in the healthcare arm find that GST exemption boundaries for healthcare services and the taxable margin on hospital pharmacy supplies attract regular scrutiny.

ScenarioBase taxInterestPenaltyTotal
Section 74 SCN downgraded to Section 73 on absence of suppression evidence for {{area_name}} steel trader₹24,00,000 (confirmed under Section 73)₹4,32,000 (18% × 12 months)₹2,40,000 (10% Section 73(9), not 100% under Section 74(9))₹30,72,000
DRC-03 voluntary payment of RCM shortfall on advocate fees by {{area_name}} private limited company₹2,52,000 (18% × ₹14 lakh advocate fees over 3 FY)₹47,628 (18% weighted by period)Nil — pre-SCN voluntary payment under Section 73(5)₹2,99,628
GSTR-9 furnished 8 days after 31st December by {{area_name}} mid-size manufacturer with aggregate turnover ₹6 croreNil — no tax leg in GSTR-9 itselfNil₹3,200 (Section 47(2), ₹200/day × 8, capped at 0.04% turnover)₹3,200
Suo motu cancellation revoked under Rule 23 for {{area_name}} printing proprietor after 8-month default₹1,28,000 (8 months cumulative cash leg)₹14,592 (18% weighted)₹24,000 (8 periods × ₹50/day × ~60 days each, capped)₹1,66,592
Section 18(1)(c) ITC on opening stock claimed by {{area_name}} restaurant exiting compositionNil — credit accrual, not demandNilNilITC of ₹3,70,000 secured
Section 50 interest dispute on Rule 88B(1) cash-leg restriction for {{area_name}} specialty trader₹0 — interest computation only₹58,000 (correctly computed on cash leg) against system demand of ₹3,00,000 (gross)Nil₹58,000

How Kellys businesses typically avoid these: On the ground in Kellys, the business activity radiating outward from Kellys Junction and nearby commercial pockets; for the professional and salaried population of Kellys navigating personal-tax and home-office GST.

By Industry

Industry-specific patterns in Kellys

How the local trade mix shapes this — Across Kellys, where hospitals and specialty clinics typically file GST on the pharmacy arm and operate under Section 12AA non-tax-treatment for healthcare services. Practitioners note that the business activity radiating outward from Kellys Junction and nearby commercial pockets.

Healthcare
Common issue: Hospitals with a taxable pharmacy arm and exempt healthcare services frequently apply Rule 42 reversal on a budgetary forecast rather than actuals, producing a year-end true-up that materially exceeds monthly reversals. The lump-sum reversal in March attracts interest under Section 50(3) from the original month of credit, not from the date of reversal.
How we handle it: Compute Rule 42(1) reversal monthly using the trailing-three-month exempt-to-total ratio rather than a static annual estimate; perform the Rule 42(2) annual reconciliation by 30th September with interest factored at the monthly cash flow level; structure the pharmacy and healthcare arms as distinct cost centres for cleaner attribution.
Healthcare
Common issue: Diagnostic chains supplying both exempt diagnostic services and taxable wellness packages often fail to bifurcate consideration on combined invoices. Notification 12/2017-CT(R) exempts authorised diagnostic services but composite invoicing without principal-supply analysis under Section 8 invites reclassification of the entire bundle as taxable.
How we handle it: Issue separate invoice series for exempt diagnostic and taxable wellness components; document the principal-supply test in a written internal policy referenced in GSTR-9 working papers; where bundling is operationally necessary, apply the highest applicable rate to the composite per Section 8(b) and disclose the position in the annual return.
Retail
Common issue: Multi-store retailers report aggregated B2C supplies in GSTR-1 Table 7 at the consolidated rate-wise level but maintain store-wise records, creating an audit trail that does not match the filing granularity. When Section 65 audit teams request store-wise reconciliation, the absence of mapping between Table 7 aggregates and store ledgers triggers extended scrutiny.
How we handle it: Maintain a store-to-Table-7 mapping sheet for each return period showing the rate-wise rollup; ensure POS systems export to a single rate-wise summary tagged to the filing month; retain the working paper for at least seven years per Section 36 to support any subsequent Section 65 or Section 73 enquiry.
Retail
Common issue: Apparel and footwear retailers transitioned through the rate restructuring announced at the 47th GST Council meeting in Chandigarh face residual stock taxed at the pre-revision rate. Selling such stock at the new rate while ITC was claimed at the old rate produces a Rule 42 mismatch that does not surface in monthly GSTR-2B reconciliation but appears in GSTR-9 Table 7.
How we handle it: Identify pre-revision stock lots at the date of rate change and tag them in the inventory system; price subsequent sales at the revised rate while documenting the ITC differential in the GSTR-9 working file; voluntarily disclose any net liability through DRC-03 before the Section 73 limitation window opens.
Education
Common issue: Educational institutions providing exempt core education alongside taxable ancillary services (transport, hostel, summer programmes) frequently apply the exempt umbrella to the entire receipt stream. Notification 12/2017-CT(R) Entry 66 exempts specified services only, and revenue beyond the exempt scope attracts tax with Rule 42 reversal of common ITC.
How we handle it: Map each receipt head against Entry 66 sub-clauses before the start of each academic year; raise separate fee receipts for taxable ancillary services with appropriate GST charge; compute Rule 42 reversal monthly on common inputs using the trailing exempt ratio, with annual true-up by 30th September per Rule 42(2).
Case Studies

Anonymised engagements we have handled

Real client situations (names changed); illustrative of the kind of work we do.

A flavour of cases we handle nearby — Across Kellys, where hospitals and specialty clinics typically file GST on the pharmacy arm and operate under Section 12AA non-tax-treatment for healthcare services. Practitioners note that Kellys businesses in the healthcare arm find that GST exemption boundaries for healthcare services and the taxable margin on hospital pharmacy supplies attract regular scrutiny.

Section 107 appealCoaching institute

Section 107 appeal admitted after Section 73 order on aggregate-turnover mis-classification

Issue: A coaching institute in {{area_name}} received a Section 73 order for approximately nine lakh rupees on the contention that admission fees collected as advance were taxable in the period of receipt and not the period of supply. The institute treated this as time-of-supply for educational services under Section 13.
Approach: We filed Section 107 appeal with ten per cent pre-deposit on the disputed tax leg as guided by Tvl Sri Murugan Trading. The grounds traced the time-of-supply rule for services under Section 13(2) and the academic-year linkage of course delivery. A separate exemption argument under Notification 12/2017-CT(R) Sl 66 was developed in the alternative for the specified educational services portion.
Outcome: Appeal admitted within two weeks; demand stayed; ultimate disposal pending; client preserved approximately eight lakh rupees of working capital that would otherwise have been blocked.
Section 38Apparel trading

Section 38 statement read with Section 16(2)(aa) defeated a Rule 36(4) historical demand

Issue: An apparel-trading firm in {{area_name}} received a Section 73 demand of approximately fifteen lakh rupees on Rule 36(4) provisional credit excess for a financial year predating the substitution of Section 38 and the introduction of Section 16(2)(aa) in their current statutory form.
Approach: We mapped the chronology of Rule 36(4) amendments from its insertion through its narrowing and eventual absorption into the Section 16(2)(aa) discipline by the Finance Act 2021. The reply demonstrated that the percentage cap as it then stood had not been exceeded in any period, and that subsequent supplier filings had brought the variance to nil by the year-end reconciliation.
Outcome: Demand reduced to approximately fifty-five thousand rupees on a residual unmatched entry; no penalty; matter closed within four months.
QRMP PMT-06Retail

QRMP opted but advance tax under PMT-06 forgotten

Issue: A T Nagar saree retailer opted for the QRMP scheme thinking it meant 'pay quarterly'. He did not file PMT-06 for the first two months of the quarter — under Rule 61(2) the QRMP dealer must still pay monthly tax via PMT-06 (35% fixed sum or self-assessment), only the GSTR-1 and GSTR-3B are quarterly. Late fee and interest started accruing silently across the quarter.
Approach: Filed both pending PMT-06 challans with the fixed-sum method (35% of preceding quarter's cash payment), computed Section 50(1) interest at 18% pa on the cash leg only, filed the quarter-end GSTR-3B reconciling the advance payments. We also explained the scheme mechanics to the proprietor in writing — most QRMP defaults we see come from this exact confusion.
Outcome: Total interest exposure ₹4,200 on cash leg only; no late fee on PMT-06 since the statute prescribes none separately; client moved to the self-assessment method for subsequent months which suited the seasonal pattern better.
Aap and CoGarment trading

Aap and Co petition cited to resist GSTR-3B re-characterisation as a final return

Issue: A garment-trading concern in {{area_name}} received an ASMT-10 contending that figures in GSTR-3B were conclusive and any later credit restoration was impermissible. The dealer had reversed credit under Rule 36(4) in an earlier period when supplier filings were pending and had restored it on a later GSTR-2B appearance.
Approach: We relied on the Gujarat High Court order in Aap and Co v Union of India, which characterised GSTR-3B as a transactional return rather than an exhaustive substitute for the omitted GSTR-2, and traced the restored credit to its specific supplier GSTR-1 reflection. The ASMT-11 reply attached a period-by-period reversal-and-restoration ledger demonstrating that the net credit position over the financial year was within the GSTR-2B universe.
Outcome: Scrutiny dropped within forty days; the restored credit of approximately three lakh rupees stood.

Why these Kellys engagements look the way they do: On the ground in Kellys, the business activity radiating outward from Kellys Junction and nearby commercial pockets; for the professional and salaried population of Kellys navigating personal-tax and home-office GST.

Client Reviews

What Kellys Clients Say

Mohan P
GST Returns Filing
“The monthly ITC report from FilingPro has transformed how we manage working capital. We know exactly what ITC is coming in, what is blocked under Section 17(5) and what is pending from suppliers. Invaluable for cash flow planning.”
1 month agoVerified Client
Thamaraikannan L
GST Returns Filing
“Our business has multiple GSTINs across Tamil Nadu and Karnataka. FilingPro manages all of them — consistent monthly filing, ITC maximised across GSTINs through ISD where applicable. Highly recommended for any multi-branch business.”
2 months agoVerified Client
Arjun R
GST Returns Filing
“GSTR-1 used to be a last-minute scramble for us. With FilingPro, GSTR-1 is filed by the 10th and GSTR-3B by the 18th — always ahead of deadline. We have not paid a single Section 47 late fee in 8 months.”
6 weeks agoVerified Client
Duraisami R
GST Returns Filing
“Received an ASMT-10 scrutiny notice for ITC mismatch. FilingPro filed the ASMT-11 reply within the 30-day window with full GSTR-2B vs books reconciliation. The notice was dropped without any demand. Saved us substantial interest and penalty.”
6 weeks agoVerified Client
Nirmala B
GST Returns Filing
“We had pending GSTR-1 and GSTR-3B for 8 months. FilingPro filed all of them with the minimum statutory late fee and prevented suo motu cancellation under Section 29. Professional handling throughout.”
3 months agoVerified Client
Preethi M
GST Returns Filing
“FilingPro's GSTR-9 preparation was thorough — Table 8 ITC reconciliation tied perfectly to books, HSN summary complete, demand and refund tables clean. Our auditor signed the GSTR-9C without a single objection.”
1 month agoVerified Client
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Common Questions

GST Returns FAQ — Kellys

Common questions from Kellys clients. Call 9566-068-468 for specific queries.

Section 50 of the CGST Act governs interest on delayed payment. Interest is generally payable on the net cash portion of tax liability that remains unpaid beyond the due date until payment is made.
Wrongful ITC claim attracts demand under Section 73 (no fraud) or Section 74 (fraud/wilful misstatement). Section 74 carries 100% penalty. For amounts above ₹5 crore prosecution under Section 132 with imprisonment up to 5 years is possible.
No. The GST Returns fee we quote upfront is the fee you pay — any government fees or third-party charges are shown separately and explained in advance. Kellys clients get full transparency before committing.
Exporters can claim refund of IGST paid on exports under Rule 96 or accumulated ITC for zero-rated supplies under Rule 89. Application is filed in Form RFD-01 on the GST portal with supporting documents (shipping bill
Outward supplies are reported in GSTR-1. These details are used by the system to auto-draft the recipients' GSTR-2B which recipients then use to determine admissible input tax credit while filing GSTR-3B.
Yes. Every GST Returns Filing engagement comes with a GST invoice and copies of all filings, acknowledgements and challans for your records. Kellys clients receive a clean, documented trail they can rely on later.
Table 12 of GSTR-1 requires HSN-wise summary of outward supplies. Reporting threshold depends on AATO — 4-digit HSN for taxpayers above ₹5 crore and 2-digit for others. From May 2023 mandatory for B2B supplies as per Notification 78/2020.
The electronic credit ledger reflects admissible ITC available for set-off against output tax. Taxpayers must ensure eligibility and correct head-wise utilisation before discharging remaining liability in cash.
Our GST Returns fees are fixed and shared in writing before any work starts — no hourly billing and no surprises. Pricing depends on the complexity of your case, not your location, so Kellys clients pay the same transparent rates as everyone else. See the pricing section above or call 9566-068-468 for an exact figure.
Interest at 18% per annum on net cash tax liability (after ITC set-off) is computed from the original due date to the actual payment date. Day count is on actual days. Reported and paid through GSTR-3B itself.
Table 3.1 captures outward tax liabilities by nature — taxable supplies
Our main office is at Plot No. 6, Alapakkam Main Road (opposite KVB Bank), Maduravoyal – 600095, with a branch at No. 22 Reddy Street, Nerkundram – 600107. Both are an easy reach from Kellys, and a third office at Nolambur is opening shortly. Most clients, though, never need to visit.
QRMP filers in Tamil Nadu file GSTR-3B by the 22nd of the month following the quarter. Other states are split between 22nd and 24th based on RBI region.
Where input GST exceeds output GST due to inverted rates
GSTR-3B cannot be revised. Errors must be corrected in a subsequent period's return as permitted by Section 39(9). Taxpayers should reconcile ledgers with GSTR-2B and books before filing to avoid repeated adjustments.
Yes. The portal provides a preview of computed liabilities
GST Returns near Kellys:

Across Kellys we look after firms on Brick Klin Road, EVR Periyar Salai, Gangadeeshwar Koil Street, Millers Road and Purasawalkam High Road as well as the Raja Annamalai Road, Balfour Road, Dr Alagappa Road and Gengu Reddy Road corridors — local GST Returns without the cross-city travel.

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Professional GST Returns Filing in Kellys, Chennai. Call @ 9566-068-468. Offices at Maduravoyal, Nerkundram & Nolambur (upcoming). 15+ years experience, 4.9★ rated.

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