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2021 (1) TMI 433 - AAR - GSTClassification of goods - rate of tax - Maize Bran - To be classified as cattle feed or not - whether chargeable to CGST @2.5% under Sr.No.103A of Notification No.1/2017 or chargeable to NIL rate as per Sr.No.102 of the Notification No.2/2017? HELD THAT - Maize Bran is used as a major supplement for cattle feed. The word supplement is defined in dictionary as a thing added to something else in order to complete or enhance it. Therefore, Maize Bran is a product, which is added to cattle feed to complete it or enhance it. This literally means that Maize Bran is not a cattle feed in itself but is added to cattle feed to enhance or improve its quality/nutritional value or to complete it. It is also seen from the submission of the applicant that they are time and again stressing on the fact that the maize bran produced by them is cattle feed and should be rightly classified on the basis of its use and be exempted under Sr.No.102 of the Notification No.2/2017-Central Tax (Rate) dated 28.06.2017. However, they have failed to clarify as to how the said product can be considered as cattle feed when the definition itself says that it is used as a major supplement for cattle feed. Further, they themselves have submitted that maize bran is usually a mixture of the bran fraction and other by-products and a very loosely defined product of highly variable composition usually sold as a major ingredient for cattle feed. They have also stated that they supply Maize Bran as feed commodities to local farmers and even manufacturers engaged in manufacturing cattle feed who often mix Maize Bran with other maize processing by-products. It can also be construed from the above that the maize bran supplied by them to the farmers would not be directly fed to cattle but be mixed with the cattle feed before feeding it to the cattle. In view of the above, it can be seen that Maize Bran in itself is not a cattle feed but is a major ingredient used in the manufacture of cattle feed as submitted by the applicant. Thus, the applicant by themselves have contradicted their contention through their submission. The applicant has supplied Cattle Feed Bran Dry to M/s Dutt Industries, Visnagar, a manufacturer, who is engaged in the manufacture of cattle feed (as per the data available online). Thus, for the above manufacturer, maize bran is just an input/ingredient, which is used in the manufacture of their final product i.e. cattle feed. It can, therefore, be concluded that the maize bran sold by the applicant is used by the above company as an input in the manufacture of cattle feed but is not a cattle feed by itself. It is also seen that Maize Bran is specifically mentioned in Sub-heading No.23021010 of the First Schedule to the Custom Tariff Act, 1975 (51 of 1975) and the word Bran is specifically mentioned in Sr.No.103A of Notification No.1/2017-Central Tax (Rate) dated 28.06.2017 - the product maize bran does not warrant classification under Sr.No.102 of Notification No.2/2017-Central Tax (Rate) as the product does not classify as cattle feed and is correctly classifiable as Bran under Sr.No.103A of Notification No.1/2017-Central Tax (Rate) dated 28.06.2017. Thus, the inputs for animal feed are different from the animal feed. Said S. No. 102 covers the prepared aquatic/ poultry/cattle feed falling under headings 2301, 2302, 2308 and 2309. This entry does not apply to raw material/inputs like Maize bran falling under heading 2302 - thus, the product in question i.e. Maize Bran is used to manufacture/formulation of animal feed, cattle feed, etc.. This raw material/input cannot be directly used for feeding animal and cattle. Hence, it cannot be construed as cattle feed and, accordingly, Maize Bran will attract GST @ 5% under S. No. 103A of the Notification No.1/2017- Central Tax (Rate) dated 28.6.2017.
Issues Involved:
1. Classification of Maize Bran under GST. 2. Determination of applicable GST rate for Maize Bran. Detailed Analysis: 1. Classification of Maize Bran under GST: The applicant is engaged in the manufacture and taxable supply of Maize starch and its derivatives, including Maize Bran, which is a by-product of corn wet milling. The applicant contends that Maize Bran, being a cattle feed, should be classified under Sr.No.102 of Notification No.2/2017-Central Tax (Rate) dated 28.06.2017, which specifies a NIL rate of duty for cattle feed. The applicant cited several case laws to support their contention that Maize Bran should be classified based on its common parlance and use as cattle feed. However, the authority found that Maize Bran is specifically covered under Tariff item no. 23021010 of the Customs Tariff Act, 1975, and is described as "Bran, sharps and other residues, whether or not in the form of pellets, derived from the sifting, milling or other working of cereals or of leguminous plants." 2. Determination of Applicable GST Rate for Maize Bran: The applicant argued that Maize Bran should be exempt from GST under Sr.No.102 of Notification No.2/2017-Central Tax (Rate) dated 28.06.2017, as it is used as a major ingredient in cattle feed. However, the authority noted that Notification No.1/2017-Central Tax (Rate) dated 28.06.2017, as amended, lists Maize Bran under Sr.No.103A, which is subject to a GST rate of 5% (2.5% CGST + 2.5% SGST). The authority emphasized that Maize Bran is not cattle feed itself but is used as a supplement or ingredient in the manufacture of cattle feed. This distinction is crucial because Sr.No.102 of Notification No.2/2017-Central Tax (Rate) applies to prepared animal fodder, not to raw materials or inputs used in its preparation. The authority also referred to CBEC Circular No. 80/54/2018-GST dated 31.12.2018, which clarified that inputs for animal feed are different from the animal feed itself. Therefore, Maize Bran, being an input, attracts a GST rate of 5% under Sr.No.103A of Notification No.1/2017-Central Tax (Rate). Conclusion: The authority concluded that Maize Bran is not a cattle feed but an ingredient used in the manufacture of cattle feed. Hence, it does not qualify for the NIL rate under Sr.No.102 of Notification No.2/2017-Central Tax (Rate). Instead, it falls under Sr.No.103A of Notification No.1/2017-Central Tax (Rate) and is subject to a GST rate of 5%. Ruling: Question: Whether Maize Bran, which is a cattle feed, is chargeable to CGST @ 2.5% under Sr.No.103A of Notification No.01/2017 or chargeable to NIL rate as per Sr.No.102 of Notification No.2/2017? Answer: The product 'Maize Bran' manufactured and supplied by the applicant is not a 'cattle feed' and hence, is not covered under Entry at Sr.No.102 of the Notification No.2/2017-Central Tax (Rate) dated 28.06.2017, as amended. It will fall under the Entry at Sr.No.103A of the Notification No.1/2017-Central Tax (Rate) dated 28.06.2017, as amended, and is chargeable to GST @ 5% (2.5% CGST + 2.5% SGST).
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