Tax Management India. Com
Law and Practice  :  Digital eBook
Research is most exciting & rewarding
  TMI - Tax Management India. Com
Follow us:
  Facebook   Twitter   Linkedin   Telegram

Home Case Index All Cases GST GST + AAR GST - 2022 (4) TMI AAR This

  • Login
  • Cases Cited
  • Referred In
  • Summary

Forgot password       New User/ Regiser

⇒ Register to get Live Demo



 

2022 (4) TMI 1141 - AAR - GST


Issues Involved:
1. Eligibility of Input Tax Credit (ITC) on steel, cement, and other consumables used in the execution of works contract service for construction of immovable property.
2. Eligibility of ITC on structures, precast, reinforced concrete beams, poles, etc., used as supports for operating cranes.
3. Eligibility of ITC on other capital goods like rails fixed over concrete arms for crane movement.

Issue-wise Detailed Analysis:

1. Eligibility of ITC on Steel, Cement, and Other Consumables:
The applicant sought an advance ruling on whether ITC is admissible for steel, cement, and other consumables used in the construction of an Integrated Factory Building with Gantry Beam. The applicant argued that these materials are used for reinforcing the foundation and structures, which support the mounting and operation of cranes. They contended that the enhanced civil engineering works are essential for the installation and operation of overhead cranes, and hence, the GST paid on these materials should be eligible for ITC.

The ruling examined Section 17(5)(d) of the GST Act, which restricts ITC on goods or services used for the construction of immovable property, except for plant and machinery. The explanation under Section 17 defines "plant and machinery" to include foundation and structural supports but excludes land, buildings, and other civil structures. The ruling concluded that the additional foundation and beams are part of the civil structure of the factory and not the foundation for the plant and machinery. Therefore, the GST paid on steel, cement, and other consumables used for these civil structures is not eligible for ITC.

2. Eligibility of ITC on Structures, Precast, Reinforced Concrete Beams, and Poles:
The applicant also sought ITC on precast, reinforced concrete beams, poles, etc., used as supports for operating cranes. However, the ruling noted that the applicant did not furnish documentary proof for the purchase of these items as it is. The ruling emphasized that advance ruling can only be extended based on verified facts, and in the absence of substantiating documents, the eligibility for ITC on these items could not be determined. Therefore, no ruling was provided on this issue due to the lack of factual substantiation.

3. Eligibility of ITC on Other Capital Goods like Rails:
The applicant sought ITC on other capital goods like rails fixed over concrete arms for the smooth travel of overhead cranes. Similar to the previous issue, the ruling noted that the applicant did not furnish details of these capital goods or whether the rails were procured separately or as part of the works contract services. Due to the lack of documentary evidence, the ruling could not determine the eligibility for ITC on these capital goods. Therefore, no ruling was provided on this issue as well.

Conclusion:
The ruling concluded that the ITC on steel, cement, and other consumables used for the construction of the factory building is not admissible. The eligibility for ITC on structures, precast, reinforced concrete beams, poles, and other capital goods like rails could not be determined due to the lack of factual substantiation and documentary evidence. The ruling emphasized the importance of providing detailed and verified documentation to determine the eligibility for ITC.

 

 

 

 

Quick Updates:Latest Updates