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2021 (11) TMI 265 - AAR - GST


Issues Involved:
1. Classification of supplies under composite supply, mixed supply, or individual supply.
2. Classification of locomotive parts under HSN Code 8607.
3. Classification and tax rate for a contract with Krishna Bhagya Jala Nigam Limited (KBJNL).

Detailed Analysis:

A. Queries Related to Railways and Metros:

Issue 1: Classification of Supplies

The applicant, Medha Servo Drives, sought clarification on whether their supplies to the Integrated Coach Factory, Chennai, should be classified as composite supply, mixed supply, or individual supply. The purchase orders indicated bundled supplies, with payment terms specifying that the payment is for the complete rake set and not for part supplies. The contract included various obligations such as warranty and performance guarantees.

Legal Definitions:

- Mixed Supply (Section 2(74) of CGST Act): "Mixed supply" means two or more individual supplies of goods or services, or any combination thereof, made in conjunction with each other by a taxable person for a single price where such supply does not constitute a composite supply.

- Composite Supply (Section 2(30) of CGST Act): "Composite supply" means a supply made by a taxable person to a recipient consisting of two or more taxable supplies of goods or services or both, or any combination thereof, which are naturally bundled and supplied in conjunction with each other in the ordinary course of business, one of which is a principal supply.

Discussion:

The contract between the applicant and the Integrated Coach Factory was examined to determine if it constituted a composite or mixed supply. The key attributes of a naturally bundled supply were considered, such as single pricing, package advertisement, non-availability of separate elements, and integral nature of the supply. The Hon'ble High Court of Kerala's ruling in Abott Health Care Pvt. Ltd. (2020) and the principles elucidated in the Education Guide on Taxation of Services were referenced.

Ruling:

The supply made by the applicant was determined to be a mixed supply, as the goods and services, though supplied together, were distinct and separately identifiable. The rate of tax applicable is the highest rate of tax applicable to the particular goods constituting the mixed supply.

Issue 2: Classification Under HSN Code 8607

The applicant requested clarification on whether the items supplied could be classified under HSN Code 8607 as locomotive parts, considering their end usage.

Legal Interpretation:

Notification 05/2017 and the Customs Tariff Act 1975 were referenced for classification. The Hon'ble Supreme Court's ruling in CCE Vs Insulation Electricals (2008) was considered, which defined a part as an essential component without which the whole cannot function.

Ruling:

The goods supplied did not qualify as parts of Railway or Tramway under HSN Code 8607, as they were not essential components without which the whole cannot function.

B. Query Relating to M/s. KBJNL:

Issue 3: Classification and Tax Rate for Contract with KBJNL

The applicant sought clarification on whether the scope of work for the contract with Krishna Bhagya Jala Nigam Limited (KBJNL) could be treated as a supply of goods or works contract services and the applicable tax rate.

Jurisdictional Limitation:

The contract with KBJNL was entered into after the application date and the place of supply falls outside the State of Telangana.

Ruling:

The authority could not issue a clarification on supplies made in Karnataka, as it falls outside their jurisdiction.

Conclusion:

1. Mixed Supply: The supplies to the Integrated Coach Factory, Chennai, are classified as mixed supply.
2. HSN Code 8607: The items supplied do not fall under HSN Code 8607.
3. KBJNL Contract: The authority cannot issue a clarification on the supplies made to KBJNL in Karnataka.

 

 

 

 

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