Sanofi India receives ₹24.10 Lakh tax demand order for FY19

Sanofi India Limited has received an order from the Office of the Deputy Commissioner of State Tax, Ahmedabad, Gujarat, concerning the Financial Year 2018-19. The order determines a total demand of ₹2...

Sanofi India Limited has received an order from the Office of the Deputy Commissioner of State Tax, Ahmedabad, Gujarat, concerning the Financial Year 2018-19. The order determines a total demand of ₹24,10,359, which includes a tax component of ₹12,95,930, interest of ₹9,84,836, and a penalty of ₹1,29,593. The company received this order on 23rd December 2025, with the order itself being dated 23rd December 2025. The alleged violation pertains to the denial of excess claim of Input Tax Credit (ITC) in GSTR-3B compared to the ITC available in GSTR-2A. Sanofi India Limited intends to appeal this order before the Higher Tax Authorities. The company has stated that the impact on its financial, operational, or other activities, quantifiable in monetary terms, is subject to the outcome of this appeal.

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Why is Sanofi India Limited in the news today?

Sanofi India Limited (SANOFI) is in the news due to the company has received a tax demand order with interest and penalty, which is a negative development.

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Sanofi India receives ₹24.10 Lakh tax demand order for FY19

December 24, 2025, 08:36 AM

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Sanofi India Limited has received an order from the Office of the Deputy Commissioner of State Tax, Ahmedabad, Gujarat, concerning the Financial Year 2018-19. The order determines a total demand of ₹24,10,359, which includes a tax component of ₹12,95,930, interest of ₹9,84,836, and a penalty of ₹1,29,593.

The company received this order on 23rd December 2025, with the order itself being dated 23rd December 2025. The alleged violation pertains to the denial of excess claim of Input Tax Credit (ITC) in GSTR-3B compared to the ITC available in GSTR-2A.

Sanofi India Limited intends to appeal this order before the Higher Tax Authorities. The company has stated that the impact on its financial, operational, or other activities, quantifiable in monetary terms, is subject to the outcome of this appeal.

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