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2020 (8) TMI 789 - SC - Service Tax


Issues Involved:
1. Interpretation and applicability of Section 65(105)(zzzzj) of the Finance Act, 1994.
2. Whether the supply of pipes and measurement equipment (SKID equipment) constitutes a taxable service under Section 65(105)(zzzzj).
3. Whether the gas connection charges collected are refundable security deposits or consideration for a service.

Detailed Analysis:

1. Interpretation and Applicability of Section 65(105)(zzzzj) of the Finance Act, 1994:
Section 65(105)(zzzzj) defines taxable service as the supply of tangible goods for use without transferring the right of possession and effective control. The court noted that this provision was introduced to tax services where the right to use goods is provided without transferring possession or control, distinguishing it from a deemed sale under Article 366(29-A)(d) of the Constitution, which involves a transfer of the right to use goods.

2. Supply of Pipes and Measurement Equipment (SKID Equipment) as a Taxable Service:
The respondent installs SKID equipment at customers' sites to regulate and measure the supply of PNG. The equipment remains under the respondent's ownership and control. The court examined whether this arrangement constitutes a service under Section 65(105)(zzzzj).

The court noted that:
- The SKID equipment is installed and maintained by the respondent at the customer's cost.
- The customer has no right to adjust, clean, handle, replace, maintain, remove, or modify the equipment.
- The equipment's purpose is to ensure accurate billing and safe operation of the customer's facilities.

The court concluded that the supply of SKID equipment is for the customer's use, as it is essential for regulating and measuring the gas supply, which benefits both the seller and the buyer. Thus, the supply of SKID equipment falls under the taxable service defined in Section 65(105)(zzzzj).

3. Gas Connection Charges as Refundable Security Deposits or Consideration for a Service:
The respondent argued that gas connection charges are mainly refundable security deposits. However, the court found that:
- The percentage of refunds varied, and in many cases, the charges were not fully refunded.
- No deposit receipts were issued, and the charges were not consistently treated as refundable in the respondent's financial records.

The court rejected the respondent's contention, concluding that the gas connection charges are consideration for the service of supplying and installing the SKID equipment, not merely refundable deposits.

Conclusion:
The court held that the supply of SKID equipment by the respondent is a taxable service under Section 65(105)(zzzzj) of the Finance Act, 1994. The gas connection charges collected by the respondent are not refundable security deposits but consideration for the service provided. The Tribunal's decision was set aside, and the order of the Adjudicating Authority was restored.

 

 

 

 

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