CBIC Issues Instructions to Streamline GST Registration Process and Curb Harassment

Last updated: 18 April 2025


In a move aimed at striking a balance between facilitating genuine taxpayers and cracking down on fraudulent entities, the Central Board of Indirect Taxes and Customs (CBIC) has issued Instruction No. 03/2025-GST to streamline the processing of GST registration applications.

The latest guidelines, dated April 17, 2025, come in response to increasing complaints from applicants facing undue delays and excessive documentary demands from tax officers during the GST registration process. This new instruction supersedes the earlier Instruction No. 03/2023-GST issued in June 2023.

CBIC Issues Instructions to Streamline GST Registration Process and Curb Harassment

Key Highlights of Instruction No. 03/2025-GST

1. Strict Adherence to Document List in GST REG-01

The CBIC has reiterated that officers must not seek documents beyond what is prescribed in the application form GST REG-01. This includes documents related to the principal place of business, constitution of the business, and identity proofs. Any additional documentation requests must now receive prior approval from a Deputy or Assistant Commissioner.

2. Simplified Requirements for Proof of Business Premises

The instruction clearly outlines acceptable documents for owned, rented, or shared business premises. It emphasizes that a single valid document-like a property tax receipt, electricity bill, or rent agreement-should suffice. Importantly, additional identity proofs of landlords or lessors should not be demanded, especially in cases where rent agreements are already registered.

3. Clarification on Business Constitution Proofs

For partnerships, the partnership deed alone is sufficient. For societies, trusts, or other entities, only the registration certificate or proof of constitution is needed-no trade licenses or MSME certificates should be sought.

4. Ban on Presumptive Queries

The CBIC has strictly prohibited officers from raising presumptive or irrelevant queries, such as questioning the applicant's residential address or business viability based on location or HSN codes.

5. Timelines for Registration Processing

  • For applications not flagged as risky, officers must process them within 7 working days.
  • For applications flagged due to Aadhaar authentication issues or other risk parameters, physical verification is required, and the process must be completed within 30 days.

6. Physical Verification Guidelines

If verification is required, officers must:

  • Upload the verification report, GPS-enabled site photos, and supporting documents via FORM GST REG-30.
  • Complete and submit reports at least 5 days before the 30-day deadline.

7. Procedure for Rejection and Clarifications

Any clarification sought must be based only on valid grounds, and applicants must be given 7 working days to respond via FORM GST REG-04. Rejections, if any, must be communicated with reasons using FORM GST REG-05.

Supervisory Oversight and Accountability

The CBIC has directed Principal Chief Commissioners and Chief Commissioners to monitor the registration processes closely, ensure adequate staffing, and take disciplinary action against officers who deviate from the prescribed norms. The board also recommends issuing localized trade notices to guide applicants in submitting proper documents based on state-specific requirements.

Why This Matters

This instruction reflects a growing push to enhance the ease of doing business under GST, while also addressing frauds involving fake registrations used to claim ineligible Input Tax Credit (ITC). By eliminating procedural bottlenecks and enforcing discipline among tax officers, the CBIC hopes to create a more efficient and taxpayer-friendly GST registration process.

Official copy of the Instructions has been attached herewith

Join CCI Pro

Category GST   Report

  4467 Views

Comments



More »