Form DRC-01 is a show cause notice (SCN) issued by the GST department in cases of:
- Non-payment or short payment of tax,
- Erroneous refunds,
- Wrong availment or utilisation of Input Tax Credit (ITC).
- DRC-01 is not a demand order – it is only a notice calling for an explanation.
- The final liability arises only if the officer issues Form DRC-07 (demand order) after considering the taxpayer’s reply.
Legal Provisions Governing DRC-01
The issuance of DRC-01 is governed by Section 73, Section 74, and Section 74A of the CGST Act, 2017, along with Rule 142 of CGST Rules.
- Section 73 (Non-Fraud Cases)
- Applicable where tax has not been paid/short-paid without fraud, suppression, or willful misstatement.
- Time Limit for Order: Within 3 years from the due date of filing the annual return.
- Notice (DRC-01) Timeline: Must be issued at least 3 months prior to order.
- Section 74 (Fraud Cases)
- Applicable where non-payment/short-payment arises due to fraud, suppression, or willful misstatement.
- Time Limit for Order: Within 5 years from the due date of filing the annual return.
- Notice (DRC-01) Timeline: Must be issued at least 6 months prior to order.
- Section 74A (Applicable from FY 2024–25 onwards)
- Introduced to consolidate both fraud and non-fraud cases.
- Time Limit for Order: 12 months from the date of issuance of DRC-01.
- Notice (DRC-01) Timeline: Within 42 months from the due date of filing the annual return.
Forms Used in the DRC Process
| Form | Purpose | Legal Reference |
| DRC-01 | Show Cause Notice issued by officer | Rule 142(1)(a) |
| DRC-06 | Reply/representation by taxpayer | Rule 142(4) |
| DRC-05 | Closure order if officer is satisfied | Rule 142(3) |
| DRC-07 | Final demand order (if reply unsatisfactory) | Rule 142(5) |
Step-by-Step Process Flow
- DRC-01 Issued – Officer issues notice citing grounds (Sec 73/74/74A).
- Reply by Taxpayer in DRC-06 –
- Reply must be detailed with documents, legal grounds, reconciliations, and supporting evidence.
- Taxpayer may also pay part of liability voluntarily through DRC-03 if partially agreeing.
- Officer’s Action –
- If satisfied → issues DRC-05 (Closure Order).
- If not satisfied or no reply → issues DRC-07 (Demand Order).
- Demand Recovery – Once DRC-07 is passed, the liability becomes enforceable, and recovery proceedings can begin.
Timelines for Notices and Orders
| Section | Type of Case | Notice (DRC-01) to be issued by | Final Order to be passed by |
| Sec 73 | Non-fraud | At least 3 months before order | 3 years from due date of annual return |
| Sec 74 | Fraud | At least 6 months before order | 5 years from due date of annual return |
| Sec 74A | Both fraud & non-fraud (from FY 24–25) | Within 42 months from due date of annual return | Within 12 months from notice date |
Examples for Better Understanding
Example 1 – FY 2023–24 (old provisions apply)
- Annual return due date: 31-Dec-2024
- Sec 73 (Non-Fraud):
- Order by: 31-Dec-2027
- Notice by: 30-Sep-2027
- Sec 74 (Fraud):
- Order by: 31-Dec-2029
- Notice by: 30-Jun-2029
Example 2 – FY 2024–25 (new Sec 74A applies)
- Annual return due date: 31-Dec-2025 (assuming no extension)
- Sec 74A (Fraud/Non-Fraud):
- Notice (DRC-01) by: 30-Jun-2029 (within 42 months)
- Order (DRC-07) by: 30-Jun-2030 (within 12 months from notice date)
Practical Guidance – How to Deal with DRC-01
- Immediate Steps Upon Receiving DRC-01
- Read the Notice Carefully – Understand the grounds cited (tax shortfall, ITC mismatch, refund issue).
- Check Section & Year – Verify whether it is under Sec 73, 74, or 74A and whether time limits are valid.
- Collect Evidence – Books of accounts, invoices, GSTR-1, GSTR-3B, GSTR-2B reconciliations.
- Prepare Reply in DRC-06 –
- Point-wise reply to each allegation.
- Attach documentary evidence.
- Quote legal provisions, CBIC circulars, and judicial precedents if applicable.
- Options Available to Taxpayer
- Fully Aggrieved: File detailed reply in DRC-06. No payment required.
- Partially Aggrieved: Pay admitted liability via DRC-03 and contest the balance through DRC-06.
- Seek Extension: Application for extension of time to reply can be filed in DRC-06 itself (no separate form prescribed).
- Officer’s Response
- If reply accepted → DRC-05 issued (case closed).
- If reply rejected → DRC-07 issued (demand order).
- Important Points
- DRC-01 cannot be issued again for the same grounds in the same year.
- However, different grounds in the same year can invite fresh DRC-01.
- Separate notices will be issued for different financial years.
Key Challenges for Taxpayers
- Mismatch-based Notices: Many DRC-01 notices arise due to GSTR-2B vs GSTR-3B or GSTR-1 vs GSTR-3B mismatches.
- Erroneous Refunds: Exporters and inverted duty structure refunds often face notices.
- Time-bound Response: Failure to reply in time results in straight demand order.
Compliance Strategy
- Maintain regular reconciliations (GSTR-1, 2B, 3B vs books).
- Keep documentary trail ready (invoices, agreements, refund applications).
- Use legal defense appropriately (interpretation of Sec 73, 74, 74A).
- Always file reply in DRC-06 online – even after expiry, reply can be uploaded on GST portal.
- If demand order (DRC-07) is passed unfairly → appeal can be filed before GST Appellate Authority (Form GST APL-01).
Conclusion
- DRC-01 is an opportunity notice – not a final liability.
- Taxpayers should treat it seriously and file a detailed reply in DRC-06 within the prescribed time.
- From FY 2024–25 onwards, Section 74A simplifies provisions, but also shortens timelines, so prompt action is critical.
- Proper accounting, reconciliations, and timely compliance are the best safeguards against adverse GST notices.
