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1967 (5) TMI 61 - SC - VAT and Sales Tax


Issues Involved:
1. Taxability of turnover from the fabrication, supply, and erection of steel structures.
2. Taxability of turnover from the fabrication and installation of bottle coolers.

Detailed Analysis:

1. Taxability of turnover from the fabrication, supply, and erection of steel structures:

The respondents, engaged in business as engineers and contractors, were assessed for Central sales tax by the Madras assessing authority for the year 1957-58. The authority included Rs. 3,26,075.20 received under a contract for the fabrication, supply, and erection of steel structures for a co-operative society setting up a sugar factory in Mysore. The respondents contended that this amount should not be included in the taxable turnover. The assessing authority rejected this claim, considering the transaction as primarily a sale of steel structures with an additional contract for installation or erection.

Upon appeal, the Appellate Assistant Commissioner of Commercial Taxes held that the transaction was for execution of work and not assessable to sales tax. However, the Sales Tax Appellate Tribunal, Madras, held that the turnover from both items was taxable. The High Court of Madras, on revision, upheld the respondents' plea that the amounts were received under works contracts and thus not liable to sales tax.

The Supreme Court analyzed whether the contract was for the sale of goods or a works contract. The Court noted that under the Central Sales Tax Act, turnover from the sale of goods alone is chargeable to tax. For the consideration received to be taxable, it had to be established that the respondents sold specific goods and that the property in the goods passed to the society upon delivery. The Court referred to Halsbury's Laws of England and the case of Clark v. Bulmer to distinguish between a contract for the sale of goods and a contract for work and labor.

The Court examined the correspondence between the parties, which revealed that the contract was for designing, detailing, fabricating, and erecting steel structures. The High Court had concluded that the contract was a works contract based on several features, including a consolidated lump payment, no provision for passing property in the goods before erection, and the predominant idea of special skill and labor.

The Supreme Court agreed with the High Court's conclusion, finding no evidence of a separate contract for the supply of fabricated steel parts and another for their erection. Thus, the turnover from the fabrication, supply, and erection of steel structures was not taxable as a sale of goods.

2. Taxability of turnover from the fabrication and installation of bottle coolers:

The second issue concerned Rs. 43,349.05 received for the fabrication and installation of bottle coolers. The assessing authority held that the respondents had sold bottle cooling units and that the contracts were not converted into works contracts by the installation of the units.

The Supreme Court examined the nature of the contracts for bottle coolers. Customers placed orders for bottle cooling equipment, which the respondents fabricated according to specifications and installed at the customers' premises. The Court noted that the installation was not merely auxiliary but an integral part of the contract. The respondents charged an inclusive price for both fabrication and installation.

The Court found that each bottle cooling equipment required special fabrication and installation by trained technicians. The contracts were for supplying a specially designed and fabricated unit to be installed at the customer's premises, not for the sale of specific goods.

Thus, the Supreme Court concluded that the turnover from the fabrication and installation of bottle coolers was also not taxable as a sale of goods but was a works contract.

Conclusion:

The Supreme Court dismissed the appeal, holding that both the turnover from the fabrication, supply, and erection of steel structures and the turnover from the fabrication and installation of bottle coolers were not taxable as sales of goods but were works contracts. The appeal was dismissed with costs.

 

 

 

 

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