Another assessee friendly step for refunds

F. No. 312/109/2015-OT
Government of India
Ministry of Finance
Central Board of Direct Taxes
Room No, 281,
Hotel Samrat,
Kautilya Marg,
Chanakyapuri
New Delhi 110021.
Telefax: – 011 – 241025731
Mail: sahil.mishra@nic.in
New Delhi, Dated 14th January, 2016

Office Memorandum

Sub: Issue of refunds up to Re.5,000/- and refunds in cases where outstanding arrear is up to Re.5,000/- in Non-CASS cases for AYs 2013-14 and 2014-15.

I am directed to convey the decision that in order to provide relief to the small taxpayers, refunds up to Rs.5,000/- and refunds in cases where arrear demand is up to Rs.5,000/- may be issued without any adjustment of outstanding arrears under section 245 of the Act during FY 2015-16.

2. As on 09.01.2016, there are 64,938 cases of refunds below Rs.5,000/- involving Rs.1,148.14 Crore in non-CASS cases for AYs 2013-14 and 2014-15 pending in AST. It is requested that the Assessing Officers be directed to issue these refunds without any adjustment of arrears under Section 245. Similarly, the non-CASS cases for those assessment years where the refund amount is more than Rs.5,000/- but the outstanding arrear is Rs. 6,000/- or less may also be processed for issue of refund without any adjustment under Section 245.

3. The above exercise may be completed before 31st January, 2016 and a compliance report be sent to the Member (Revenue).

4. This issues with the approval of Chairman, CBDT.

Yours faithfully

(Salil Mishra)

Director (OT & WT) more  

IT refunds are indeed remitted by ECS to the bank account mentioned by the assessee in the IT return. more  
It will be good and convenient both for the I.T. Dept. and the assessees concerned if the refunds are remitted under ECS (Credit) on lines similar to credit of dividends on shares or through NEFT (instead of cheques being issued) while keeping the assessees informed through letters. more  
IT WILL GIVE RELIEF TO ALL TAXPAYERS.DEMANDS MAINLY RELATED TO TDS WHICH WAS NOT REFLECTING IN FORM NO.26AS AND THAT WAS SHOWING IN LATER DATE IN MAJOR CASES. more  
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