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Home Case Index All Cases GST GST + AAR GST - 2020 (1) TMI AAR This

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2020 (1) TMI 30 - AAR - GST


Issues Involved:
1. Classification of Own Closed PPIs as supply of goods or services.
2. Determination of the time of supply for Own Closed PPIs.
3. Applicable tax rates for the supply of Own Closed PPIs.
4. GST applicability on PPIs issued by Third Party PPI Issuers.
5. GST applicability on amounts received from Third Party PPI Issuers.
6. Sufficiency of GST collection at the time of redemption of PPIs.
7. GST liability on the discount value in case of third-party PPIs.

Issue-wise Detailed Analysis:

1. Classification of Own Closed PPIs as Supply of Goods or Services:
The applicant, a manufacturer and trader of jewelry, issues Own Closed Pre-Paid Instruments (PPIs) to customers. These PPIs are redeemable at any of the applicant's outlets. The applicant contends that these PPIs are actionable claims and not subject to GST. However, the judgment clarifies that PPIs are not actionable claims but are instead classified as "vouchers" under Section 2(118) of the CGST Act. The judgment states, "Therefore the PPIs under consideration squarely falls under the definition of 'Voucher' as defined in section 2(118) of CGST Act." Consequently, these vouchers are considered "goods" under Section 2(52) of the CGST Act.

2. Determination of the Time of Supply for Own Closed PPIs:
The time of supply for vouchers is governed by Section 12(4) of the CGST Act. The judgment specifies, "if the vouchers are specific to any particular goods specified against the voucher, then the date of issue of vouchers is the time of supply of vouchers to the customer." If the vouchers are redeemable against any goods, the time of supply is the date of redemption of the voucher.

3. Applicable Tax Rates for the Supply of Own Closed PPIs:
The judgment provides the applicable tax rates based on the classification of the vouchers:
- For paper-based gift vouchers (classified under CTH 4911), the applicable rate is 6% CGST and 6% SGST.
- For gift cards (classified under CTH 8523), the applicable rate is 9% CGST and 9% SGST.

4. GST Applicability on PPIs Issued by Third Party PPI Issuers:
The judgment does not address this issue as it pertains to activities undertaken by entities outside the jurisdiction of the Authority for Advance Ruling, Tamil Nadu. The judgment states, "This Advance Ruling Authority does not have Jurisdiction over the activity undertaken by these entities."

5. GST Applicability on Amounts Received from Third Party PPI Issuers:
Similar to the previous issue, this question is not answered due to jurisdictional limitations. The judgment reiterates, "This Advance Ruling Authority does not have Jurisdiction over the activity undertaken by these entities."

6. Sufficiency of GST Collection at the Time of Redemption of PPIs:
This issue is also not addressed due to the jurisdictional scope of the Authority for Advance Ruling, Tamil Nadu. The judgment maintains, "This Advance Ruling Authority does not have Jurisdiction over the activity undertaken by these entities."

7. GST Liability on the Discount Value in Case of Third-Party PPIs:
The judgment does not provide a ruling on this issue due to jurisdictional constraints. It states, "The questions raised at Sl.No. 4,5,6 and 7 are not answered for the reason that the said questions are not admitted as this authority does not have jurisdiction."

Ruling:
1. Own Closed PPIs issued by the applicant are classified as "vouchers" and are considered a supply of goods under the CGST/TNGST Act 2017.
2. The time of supply for such gift vouchers/gift cards is the date of issue if specific to particular goods, otherwise, it is the date of redemption.
3. The applicable tax rates are 6% CGST and 6% SGST for paper-based vouchers (CTH 4911) and 9% CGST and 9% SGST for gift cards (CTH 8523).
4. Questions related to third-party PPIs are not addressed due to jurisdictional limitations.

 

 

 

 

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