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2021 (4) TMI 500 - HC - Service Tax


Issues Involved:
1. Jurisdiction and applicability of service tax on municipalities under the Finance Act, 1994.
2. Taxability of services provided by municipalities before and after July 1, 2012.
3. Interpretation of "person" and "local authority" under the Finance Act, 1994.
4. Exemptions under the Mega Exemption Notification No. 25/2012-ST.
5. Validity of demands and orders issued by the tax authorities.

Detailed Analysis:

Jurisdiction and Applicability of Service Tax:
The municipalities challenged the Show Cause Notices (SCNs) and Orders-in-Originals (OIOs) on the ground that they were without jurisdiction. They argued that there was no question of proposing or demanding service tax on their activities under the Finance Act, 1994.

Taxability of Services Provided by Municipalities:
Before July 1, 2012:
- The demand for service tax was confined to "Renting of Immovable Property Services" under Section 65(105)(zzzz) read with Section 65(90a) of the Finance Act, 1994.
- The Delhi High Court in Home Solutions Retail India Ltd. v. UOI (2009) struck down the levy, stating renting of immovable property did not involve value addition and thus could not be regarded as a service.
- The Finance Act, 2010 amended the provisions retrospectively to cure the defect pointed out by the Delhi High Court.
- The court observed that service tax was payable only if services were provided "by any other person" other than the owner, for use in the course of or furtherance of business or commerce.

After July 1, 2012:
- The Finance Act, 1994 was amended, introducing a new definition of "service" in Section 65B(44).
- Most services provided by the government or local authorities were included in the negative list under Section 66D, thus exempt from service tax.
- The Mega Exemption Notification No. 25/2012-ST dated 20.06.2012 provided specific exemptions, including services by way of public conveniences and services by a governmental authority related to functions entrusted to a municipality under Article 243W of the Constitution.

Interpretation of "Person" and "Local Authority":
- Petitioners argued that municipalities were not "persons" under the Finance Act, 1994, both before and after July 1, 2012.
- The respondents contended that municipalities were "persons" as defined in Section 65B(37) and "local authorities" under Section 65B(31) of the Finance Act, 1994.
- The court concluded that the definition of "person" includes a local authority, and thus municipalities could be considered liable for service tax post-July 1, 2012.

Exemptions under Mega Exemption Notification No. 25/2012-ST:
- The petitioners claimed that their services were exempt under Sl.Nos. 38 and 39 of the Mega Exemption Notification No. 25/2012-ST.
- The court noted that services by way of public conveniences and services by a governmental authority related to municipal functions were exempt from service tax.

Validity of Demands and Orders:
- The court held that the demands and orders issued against the municipalities were without jurisdiction for the period before July 1, 2012, as the municipalities were not liable to pay service tax on renting of immovable property.
- For the period after July 1, 2012, the court found that the services provided by the municipalities were either exempt or not taxable under the amended provisions of the Finance Act, 1994.

Conclusion:
- W.P.No.3969 of 2018 was dismissed as infructuous.
- W.P.No.8900 of 2018, W.P.No.31799 of 2017, and W.P.No.12489 of 2017 were allowed.
- The impugned SCNs and OIOs were quashed.
- No costs were awarded, and connected miscellaneous petitions were closed.

 

 

 

 

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