Taxmann's MSME Ready Reckoner

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Law stated in this book is as updated till 1st April, 2024

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Practical Insights into Section 43B(h)- With particular focus on identifying MSE suppliers who fall within Section I-13

Micro Enterprises Reckoner I-25

Small Enterprises Reckoner I-29

Medium Enterprises Reckoner I-33

MSME Reckoner 1 - Turnover-limit linked compliances/ exemptions for a private company I-37

MSME Reckoner 2 - Turnover-limit linked compliances/ exemptions for MSME which is a limited liability partnership I-43

MSME Reckoner 3 - Turnover-limit linked compliances/ exemptions for MSME which is a traditional/general I-51

MSME Reckoner 4 - Turnover-limit linked compliances/ exemptions for MSME which is individual/HUF I-59

MSME Reckoner 5 - Turnover-limit linked compliances/ exemptions for MSME which is a Public Company I-69

DIVISION ONE

MSMEs - DEFINITION, CLASSIFICATION AND REGISTRATION
Contents I-5
Chapter 1 3
Chapter 2 24 Chapter 3 46 Chapter 4 51 Chapter 5 55 Chapter 6 82 Chapter 7 88 Chapter 8 91 DIVISION TWO BENEFITS TO REGISTERED MSMEs Chapter 9 113 Chapter 10 116 Chapter 11 h 159 CONTENTS I-6
Chapter 12 202 Chapter 13 216 Chapter 14 221 Chapter 15 239 Chapter 16 246 Chapter 17 C A 339 Chapter 18 345 Chapter 19 s i.e 375 DIVISION THREE BENEFITS TO SMALL BUSINESSES, WHETHER REGISTERED MSMEs OR NOT Chapter 20 411 Chapter 21 419 I-7 CONTENTS
Chapter 22 423 Chapter 23 429 Chapter 24 431 Chapter 25 443 Chapter 26 453 Chapter 27 459 DIVISION FOUR LEGAL FORMS OF ORGANISATION MSMEs CAN ADOPT AND PROS AND CONS OF CHOICE OF VARIOUS LEGAL FORMS Chapter 28 495 Chapter 29 497 Chapter 30 501 Chapter 31 508 CONTENTS I-8
Chapter 32 514 Chapter 33 529 DIVISION FIVE MICRO ENTERPRISES Chapter 34 535 Chapter 35 536 Chapter 36 538 DIVISION SIX SMALL ENTERPRISES Chapter 37 543 Chapter 38 544 Chapter 39 546 DIVISION SEVEN MEDIUM ENTERPRISES Chapter 40 551 I-9 CONTENTS

APPENDIX

APPENDIX

Chapter 41 552 Chapter 42 554 DIVISION EIGHT IMPORTANCE OF FILING ITRs FOR SMALL BUSINESSES AND THEIR OWNERS Chapter 43 559 DIVISION NINE START-UP Chapter 44 565 Chapter 45 582 APPENDICES
1 : 589 APPENDIX 2 : 604 APPENDIX 3 : s 609
4 : s 610
APPENDIX
APPENDIX
5 : 611
6 : 612 CONTENTS I-10

CONTENTS

APPENDIX 7 : h

APPENDIX 8 : s 615

APPENDIX 9 : 616

APPENDIX 10 : 628 I-11

614

WHAT IS THE NEW DEFINITION OF “MICRO ENTERPRISES”,

“SMALL ENTERPRISES” AND “MEDIUM ENTERPRISES”?

1.1 What does ‘MSME’ stand for?

MSME stands for Micro, Small, and Medium Enterprises.

1.2 What does ‘MSE’ stand for?

MSE stands for Micro and Small Enterprises.

1.3 What does ‘SME’ stand for?

SME stands for Small and Medium Enterprises. In some countries SME is more frequently in use.

1.4 Is there any statutory definition of ‘Micro enterprises’, ‘Small enterprises’ and ‘Medium enterprises’?

The terms “Micro Enterprises”, “Small Enterprises” and “Medium Enterprises” are defined in the Micro, Small and Medium Enterprises Development Act, 2006 (MSMED Act). The MSMED Act came into force on 02.10.2006. As per its long title, the avowed objects of the MSMED Act is to provide for facilitating the promotion and development and enhancing the competitiveness of micro, small and medium enterprises and matters connected there with or incidental thereto.

Section 2(h) of MSMED Act defines “micro enterprise” to mean an enterprise classified as such under sub-section (1) of section 7.

3 CHAPTER
1

Section 2(m) of MSMED Act defines “small enterprise” to mean an enterprise classified as such under sub-section (1) of section 7.

Section 2(g) of MSMED Act defines “medium enterprise” to mean an enterprise classified as such under sub-section (1) of section 7.

The old definition and classification of Micro, Small and Medium Enterprises (MSMEs), applicable from 02.10.2006 to 30.06.2020, was based on ceilings on investment in plant and machinery for enterprises in the manufacturing sector and on ceilings on investment in equipment in services sector. The investment ceilings were fixed way back in 2006 and were not adjusted for inflation. These outdated investment ceilings not adjusted for inflation discouraged MSMEs from undertaking new investments in plant and machinery or equipment for fear of losing the MSME status due to investment limits being exceeded. Government of India has notified new definitions and classification criteria of MSMEs vide Notification No. S.O. 2119(E), dated 26.06.2020 (hereafter referred to as the “New MSME Notification” or simply as ‘NMN’ for brevity sake).

The new definition of MSME, applicable with effect from 01.07.2020, is based on the composite criteria of turnover limits and limits of investment in plant and machinery or equipment. The same limits apply to both manufacturing enterprises and service enterprises.

The following Table shows the classification of MSMEs into micro, small and medium categories based on various combinations of situations as regards net investment in plant and machinery or investment and net turnover:

Net turnover does not exceed ` 5 cr Net turnover exceeds ` 5 cr but not ` 50 cr Net turnover exceeds ` 50 cr but not ` 250 cr Net turnover exceeds ` 250 cr Net investment in plant and machinery or equipment does not exceed ` 1 cr Micro 1 Small 2 Medium 3 4 Out of MSME fold.. large Enterprise Net investment in plant and machinery or equipment exceeds ` 1 cr but not ` 10 cr Small 5 Small 6 Medium 7 Out of 8 MSME fold.. large Enterprise Para 1.4 DIV. 1 : MSMEs - DEFINITION, CLASSIFICATION & REGISTRATION 4

Net investment in plant and machinery or equipment exceeds ` 10 cr but not ` 50 cr

Net investment in plant and machinery or equipment exceeds ` 50 cr

Notes:

Net turnover does not exceed ` 5 cr Net turnover exceeds ` 5 cr but not ` 50 cr

Net turnover exceeds ` 50 cr but not ` 250 cr Net turnover exceeds ` 250 cr

enterprise

1. In the above table, cell No. 1 represents a situation where net investment in plant and machinery or equipment of an enterprise does not exceed ` 1 crore and net turnover does not exceed ` 5 crores and so on.

2. Investment in plant and machinery or equipment means “the net investment in plant and machinery or equipment” (net of depreciation as per IT Act and IT Rules) and not original cost or book value (See Chapter 2)

3. Net Turnover means Total turnover less export turnover. (See Chapter 3)

4. If an enterprise crosses the ceiling limits specified for its present category in either of the two criteria of investment or turnover, it will cease to exist in that category and shall be placed in the next higher category. An enterprise shall continue to avail of all non-tax benefits of the category (micro or small or medium) it was in before the re-classification, for the period of 3 years from the date of such upward change.

5. No enterprise shall be placed in the lower category unless it goes below the ceiling limits specified for its present category in both the criteria of investment as well as turnover. The enterprise will continue in its present category till the closure of the financial years and it will be given the benefit of the chuffed status only with effect from 1st April of the following financial year.

6. All units with Goods and Services Tax Identification Number (GSTIN) listed against the same Permanent Account Number (PAN)

Medium
Medium
Medium
9
10
11 Out of 12 MSME fold.. large
MSME
Out
MSME
Out
MSME fold.. large enter-
Out
MSME
Out of 13
fold.. large enterprise
of 14
fold.. large Enterprise
of 15
prise
of 16
fold.. large enterprise
ENTERPRISES Para 1.4
5 CH. 1 : DEFINITION OF MICRO, SMALL & MEDIUM

DIV. 1 : MSMEs - DEFINITION, CLASSIFICATION & REGISTRATION 6

shall be collectively treated as one enterprise and the turnover and investment figures for all of such entities shall be seen together and only the aggregate values will be considered for deciding the category as micro, small or medium enterprise.

SUMMARY:

Category of MSME enterprise

Sector

New composite classification criteria of investment and turnover applicable with effect from 01.07.2020 (investment reckoned on WDV/ depreciated cost/net investment basis as per ITRs filed) and turnover = net turnover i.e. net of export turnover)

Micro Enterprise Manufacturing Net investment in plant and machinery or equipment ` 1 crore and net turnover ` 5 crores

Small Enterprise Manufacturing Net investment in plant and machinery or equipment ` 10 crores and net turnover ` 50 crores

Medium Enterprise Manufacturing Net investment in plant and machinery or equipment ` 50 crores and net turnover ` 250 crores

Micro Enterprise Services Net investment in plant and machinery or equipment ` 1 crore and net turnover ` 5 crores

Small Enterprise Services Net investment in plant and machinery or equipment ` 10 crores and net turnover ` 50 crores

Medium Enterprise Services Net investment in plant and machinery or equipment ` 50 crores and net turnover ` 250 crores

1.5 Is satisfying the above composite criteria of investment and turnover sufficient to qualify as MSME and avail the benefits under the MSMED Act? Or is any registration needed to be recognised as MSME under the said Act?

Para 2 of the NMN deals with “becoming a micro, small or medium enterprise” and provides as under:

(1) Any person who intends to establish a micro, small or medium enterprise may file Udyam Registration online in the Udyam Registration portal (www.udyamregistration.gov.in). Filing is on self-declaration basis. There is no requirement to upload documents, papers, certificates or proof.

(2) On registration, an enterprise (referred to as “Udyam” in the Udyam Registration portal) will be assigned a Permanent Identity Number to be known as “Udyam Registration Number”.

(3) An e-certificate, named “Udyam Registration Certificate” will be issued on completion of the registration process.

Para 1.5

Para 6 of the NMN deals with registration process and provides as under:

(1) The form for registration shall be as provided in the Udyam Registration portal.

(2) There will be no fee for filing Udyam Registration.

(3) Aadhaar number shall be required for Udyam Registration,

(4) The Aadhaar number shall be: of the proprietor in the case of a proprietorship firm, of the managing partner in the case of a partnership firm, and of a karta in the case of a Hindu Undivided Family (HUF).

(5) In case of a Company or a Limited Liability Partnership or a Cooperative Society or a Society or a Trust, the organisation or its authorised signatory shall provide its GSTIN and PAN along with its Aadhaar number.

(6) In case an enterprise is duly registered as an Udyam with PAN, any deficiency of information for previous years when it did not have PAN shall be filled up on self-declaration basis.

(7) No enterprise shall file more than one Udyam Registration. Any number of activities including manufacturing or service or both may be specified or added in one Udyam Registration.

(8) Whoever intentionally misrepresents or attempts to suppress the self-declared facts and figures appearing in the Udyam Registration or updation process shall be liable to such penalty as specified under section 27 of the MSMED Act.

(9) In case of any proprietorship enterprise not registered under any Act or Rules of the Central Government or the State Government, the proprietor may use his or her PAN for registration of the enterprise in the Udyam Registration portal and for all other types of enterprises PAN shall be mandatory.

Para 7 of the NMN deals with registration of existing enterprises and provides as under:

(1) All existing enterprises registered under EM±Part-II or UAM shall register again on the Udyam Registration portal on or after the 1st day of July, 2020. The deadline for migration from EM-II/UAM to Udyam is 30.06.2022.

[If EM-II and UAM enterprises do not migrate to Udyam on or before 30.06.2022, they would be treated as unregistered till they file Udyam Registration.]

(2) All enterprises registered till 30th June, 2020, shall be re-classified in accordance with this notification. 7

CH. 1 : DEFINITION OF MICRO, SMALL & MEDIUM ENTERPRISES Para 1.5

(3) The existing enterprises registered prior to 30th June, 2020, shall continue to be valid only for a period up to 30.06.2022.

(4) An enterprise registered with any other organisation under the Ministry of Micro, Small and Medium Enterprises shall register itself under Udyam Registration.

From a conjoint reading of Paras 2, 6 and 7 of the NMN, it is clear that merely satisfying the above composite criteria of investment and turnover is NOT sufficient to qualify as MSME and avail the benefits under the MSMED Act. The heading of Para 2 “Becoming a micro, small or medium enterprise” seems to indicate that filing of Udyam Registration is essential for MSME enterprise to be recognised as such under the MSMED Act and to avail benefits [See paras 1.15 to 1.18 below] under that Act.

The Central Government has clarified that “Udyam Registration (UR) is mandatory for availing all the schemes/benefits of this office including benefits under delayed payment provisions.” [Response to FAQ No.4 on the Samadhaan Portal]

1.6 Whether the new definition and classification based on composite criteria applicable only to new enterprises established on or after 01.07.2020? Or does it apply to enterprises existing as on 30.06.2020 also?

The new definition applies to existing enterprises as on 30.06.2020 also. If existing enterprises are registered under Udyog Aadhaar or EM Part II, the same will be reclassified as per the new definition. The UAM/EM registration shall remain valid only till 30.06.2022. All existing enterprises registered under UAM/EM-II as on 30.06.2020 need to re-register under Udyam on or after 01.07.2020 before their UAM/EM registration expires on 30.06.2022.

If they do not migrate to Udyam on or before 30-06-2022, they would be treated as unregistered until they file Udyam Registration.

Section 8(1) of MSMED Act makes it compulsory for medium enterprises to file information memorandum (Udyam Registration). If a medium enterprise registered under UAM or EM fails to migrate to Udyam Registration on or before 30.06.2022 or if an enterprise which was out of MSME fold prior to 01.07.2020 and qualified as medium enterprise under NMN fails to file Udyam and before 30.06.2022, the contravention may attract fine under section 27(1) of the MSMED Act. Section 27(1) provides that whoever intentionally contravenes or attempts to contravene or abets the contravention of any of the provisions contained Para 1.6

DIV.
1 : MSMEs - DEFINITION, CLASSIFICATION & REGISTRATION 8

in sub-section (1) of section 8 or sub-section (2) of section 26 shall be punishable—

(

a) in the case of the first conviction, with fine which may extend to rupees one thousand; and

(b) in the case of second or subsequent conviction, with fine which shall not be less than rupees one thousand but may extend to rupees ten thousand.

1.7 Is there a uniform definition of SMEs or small businesses for the purposes of all laws benefitting SMEs?

Unfortunately, No.

The new definition of MSMEs (micro, small and medium enterprises) as per the Micro, Small and Medium Enterprises Development Act, 2006 (hereinafter referred to as ‘the MSMED Act’) is based on composite criteria of investment limits and turnover limits. The new definition is applicable with effect from 01.07.2020. This definition stipulates a turnover limit of ` 250 crores for MSMEs eligible to register under MSMED Act and avail benefits under that Act. The old definition under the MSMED Act applicable upto 30.6.2020 did not stipulate any turnover limit. It only stipulated limits on investment in plant and machinery for manufacturing enterprises and limits on investment in equipment for service enterprises.

The small business universe or SME universe is vast and diverse ranging from street vendors to startups. They exist in formal sector as well as informal sector. Those existing in informal sectors do have some of the trappings of formal sector like street vendors or carts accepting payments through cashless means like PhonePe or Paytm. The universe of small businesses is not exhausted by the enterprises registered under the MSMED Act or eligible to register under that Act as per the definitions under that Act. Only manufacturing enterprises and service enterprises are eligible to be registered under that Act and avail benefits under that Act. There are activities which are neither manufacture nor services [See para 5.14].

Start-ups are a special segment of the small and medium businesses sector defined under DPIIT notification as partnership firms, LLPs and private limited companies which are (i) DPIIT Recognised (ii) having turnover not exceeding ` 100 cr and (iii) not completed 10 years from date of incorporation. Irrespective of whether they register under the MSMED Act or not, DPIIT-recognised startups are entitled to benefits under the Startup India scheme. DPIIT-recognised startups which are

9 CH. 1 : DEFINITION OF MICRO, SMALL & MEDIUM ENTERPRISES Para 1.7

LLPs or private limited companies are also entitled to various tax benefits under the Income-tax Act, 1961 [See Division 9].

Then, there are benefits available to small companies under the Companies Act, 2013 by way of relaxations in the compliance regime. Turnover limit for small company definition in Companies Act is ` 40 crores.

It may be noted that, while turnover limit for MSMEs has been increased to ` 250 cr for MSMED Act purposes, there has been no increase in turnover limit of ` 100 cr in DPIIT policy for startups.

Small and Medium Companies are entitled to a concessional tax rate of 25% after enjoying all tax benefits. The turnover limit for availing this benefit is ` 400 crores and is available to SMEs irrespective of registration under MSMED Act [Chapter 25]. Likewise, enterprises with turnover up to ` 10 crores are entitled to exemption from mandatory tax audit under section 44AB if they transact 95% or more of their payments and receipts by specified cashless means [Chapter 23]. Small businesses are also entitled to opt for presumptive tax regime under section 44AD or 44ADA or 44AE of Income-tax Act and if they declare specified amount of profits they need not maintain accounts and get them audited under section 44AB of the Income-tax Act [Chapter 22].

Not only are turnover limits across laws but also the method of calculation of turnover limits differ. For the purposes of MSMED Act, turnover excludes export turnover for computing turnover limits of ` 5 cr, ` 50 cr and ` 250 cr. However, export turnover is not excluded for computing the turnover limits of ` 100 cr in DPIIT startup notification or turnover limit of ` 40 crores for small company definition in section 2(85) of the Companies Act or the ` 400 cr turnover limit for lower income-tax rates for small and medium companies or the ` 10 cr limit for exemption from tax audit under section 44AB of the Income-tax Act. The definition of turnover also differs.

For DPIIT notification and small company definition, turnover as per profit and loss account is to be taken.

Turnover limit for section 44AB of Income-tax Act is to be reckoned as per section 145A(ii) of the Income-tax Act, 1961 and as per Income Computation and Disclosure Standards.

1.8 Whether MSMEs should adopt any particular legal form of organisation to avail benefits under MSME Act?

No. There is no particular form of legal organisation to be adopted to be eligible for benefits under the MSMED Act. Benefits under MSMED Act will be available so long as the enterprise satisfies the investment

DIV.
CLASSIFICATION & REGISTRATION 10
Para 1.8
1 : MSMEs - DEFINITION,

11 CH. 1 : DEFINITION OF MICRO, SMALL & MEDIUM ENTERPRISES Para 1.10

and turnover limits as above and has filed Udyam Registration. It does not matter whether the enterprise is a proprietorship or partnership firm or a limited liability partnership (LLP) or a company or Hindu undivided family (HUF).

According to Notification No. SO 1642(E), dated 29-9-2006, an enterprise may be: proprietorship, Hindu undivided family, association of persons, co-operative society, partnership firm, company, undertaking, or any other legal entity

The term ‘any other legal entity’ used in Notification No. 1642 (E) is wide enough to cover limited liability partnership and formed and registered under the Limited Liability Partnership Act, 2008. Even Self-Help Groups can be considered as “enterprises”.

However, if MSME is a start up, it must be a partnership firm or LLP or a private limited company to avail benefits under DPIIT’s Start up Notification No. GSR 127(E), dated 19.02.2019 [hereinafter referred to as Latest Startup Notification (LSN)] [See Division 9; Chapter 44]

1.9 Whether street vendors will be regarded as MSMEs as per the revised definition ?

Street vendors, whether urban or rural, can register as retail traders on Udyam Registration (UR) portal. The benefits of Retail and Wholesale Trade MSMEs are to be restricted to priority sector lending only [OM 16/17/2020-P&G-Policy (E-19421), dated 9-8-2021, issued by Ministry of MSME, GOI]. [See also Chapter 6]

1.10 Would the following qualify as MSMEs under the revised definition? (i) individual practising CA, (ii) an individual professional photographer, (iii) plumbers, (iv) gardeners, (v) cobblers, (vi) puncture wallahs?

An individual service provider without an undertaking or establishment or concern is not an “enterprise” as defined in MSMED Act [See para 1.8 above].

Para 1.13 DIV. 1 : MSMEs - DEFINITION, CLASSIFICATION & REGISTRATION

Thus, a CA firm or a CA having an office shall be an “enterprise”. An individual CA practising as such and not having any establishment will not be a “service enterprise”. A photography studio is a service enterprise. An individual professional photographer is not a service enterprise. It appears that cobblers, puncture wallahs, road-side tea vendors can register on Udyam portal as Retail Trade MSMEs.

1.11 What kind of business comes under MSME?

All Business activities - Services and Manufacturing are covered in MSME sector except activities as mentioned in O.M. 5/2(1)/2020-P&G/Policy dated 17.07.2020. [FAQ No.1 under 39. General in MSME Champions Portal] [See Para 5.14]

1.12 Is GST mandatory for MSME?

As per para 5(3) of the Notification No. S.O. 2119(E), dated 26.06.2020, with effect from 01.04.2021, PAN and GSTIN shall be mandatory. As per para 5(4), the exemption from requirement of GSTIN shall be as per the provisions of the Central Goods and Services Tax Act, 2017 (CGST Act, 2017)

1.13 Are traders eligible for Udyam Registration

The Government has received various representations and it has been decided to include Retail and wholesale trades as MSMEs and they are allowed to be registered on Udyam Registration Portal. However, benefits to Retail and Wholesale trade MSMEs are to be restricted to Priority Sector Lending only. Accordingly, the list of eligible additional activities under NIC Code 45, 46 and 47 are as under:

45 Wholesale and retail trade and repair of motor vehicle and motorcycles

46 Wholesale trade except of motor vehicles and motor cycles

47 Retail Trade Except of Motor Vehicles and motor cycles

The Udyam Registration is allowed for above three NIC Codes and activities mentioned against them.

The Enterprises having Udyog Aadhaar Memorandum (UAM) under above three NIC Codes are now allowed to migrate to Udyam Registration Portal or they can file Udyam. [FAQ No. 3 under 39. General in MSME Champions Portal]

MSME Ready Reckoner

PUBLISHER : TAXMANN

DATE OF PUBLICATION : 5th Edition

EDITION : 3rd Edition

ISBN NO : 9789357789042

NO. OF PAGES : 732

BINDING TYPE : PAPERBACK

DESCRIPTION

This comprehensive handbook offers an in-depth analysis of India's regulatory, financial, and operational landscapes for Micro, Small, and Medium Enterprises (MSMEs).

For entrepreneurs and business owners, this guide is an essential tool to understand the complexities of managing an MSME in India. It ensures they are well-equipped to optimize their business operations and comply with pertinent legal requirements.

The Present Publication is the 5th Edition | 2024 and has been updated till 1st April 2024. This book is authored by Taxmann's Editorial Board, with the following noteworthy features:

• [Overview of Section 43B(h)] Provides practical insights into identifying MSME suppliers covered under this section of the Income-tax Act, with a focus on the verification of Udyam Certificates

• [Reckoner Guides] Features detailed reckoners for micro, small, and medium enterprises, illustrating turnover-linked compliances and exemptions across different organizational forms, including private companies, limited liability partner ships, traditional partnerships, individuals/HUF, and public companies

• [MSME Definition, Classification, and Registration]

o Presents a comprehensive definition and classification of MSMEs

o Describes methodologies for calculating investment and turnover

o Includes new criteria for MSME classification with illustrations and case studies

o Provides steps for filing Udyam registration and utilizing the Udyam Assist Platform

o Offers guidelines on MSME reclassification and differentiates between manufacturing and service MSMEs

• [Benefits to Registered MSMEs]

o Outlines benefits from the MSME Fund and protections under the MSMED Act against delayed payments

o Discusses legal and financial supports such as the Factoring & Trade Receivables Discounting System (TReDS) and other central schemes

o It covers specific topics such as the recovery of dues, half-yearly MSME-1 returns, and the insolvency resolution process for corporate MSMEs

• [Benefits to Small Businesses (Registered MSMEs or Not)]

o Explains tax benefits and exemptions under the Income-tax Act, including low tax rates and audit exemptions

o Highlights relaxations in compliance under the Companies Act and access to funding schemes like MUDRA and PM SVANidhi

o Details the process for quick online loan approvals for MSMEs

• [Legal Forms of Organization for MSMEs] Details the various legal forms MSMEs can adopt, including sole proprietor ships, partnerships, LLPs, companies, and Hindu Undivided Families

• [Specific Enterprise Guides] Provides detailed descriptions and registration processes for micro, small, and medium enterprises, emphasizing suitable legal forms for each category

• [Importance of Filing ITRs] Emphasizes the significance of filing income tax returns for small businesses and their owners, underlining the legal and financial benefits

• [Start-Up Focus] Defines what constitutes a start-up and the benefits available to DPIIT-recognized start-ups under the Start-Up India Scheme, aiding emerging businesses

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