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Meaning of the expression ‘gross amount' appearing in Rule 3(1) of the Works Contract (Composition Scheme for Payment of Service Tax) Rules, 2007, as it stood prior to 07th day of July 2009 - Service Tax - SERVICE TAX TRADE NOTICE NO.01/2012Extract GOVERNMENT OF INDIA MINISTRY OF FINANCE, DEPARTMENT OF REVENUE OFFICE OF THE COMMISSIONER OF CENTRAL EXCISE, CUSTOMS SERVICE TAX SERVICE TAX TECHNICAL SECTION 71. CLUB ROAD BELGAUM-590001 C. NO. IV/16/26/2012 ST (T) Dated: 09.03.2012 SERVICE TAX TRADE NOTICE NO.01/2012 Subject: Meaning of the expression gross amount' appearing in Rule 3(1) of the Works Contract (Composition Scheme for Payment of Service Tax) Rules, 2007, as it stood prior to 07th day of July 2009 - regarding. Reference has been received from a field formation seeking clarification as to whether 'gross amount', for the purpose of payment service tax the Works Contract Composition Scheme, included the value of free of cost supplies, for the period prior to 07/07/2009. 2. The issue has been examined. The meaning of the expression 'gross amount' appearing in Rule 3(1) of the Works Contract (Composition Scheme for Payment of Service Tax) Rules, 2007, is qualified by the Explanation inserted in the said Rule with effect from 07/07/2009. Since the Explanation inserted in Rule 3(1) with effect from 07/07/2009 is clarificatory and prospective in nature, inclusion of value of free of cost supplies of goods and services in or in relation to the execution of Works Contract [mentioned in the Explanation to Rule 3(1) (a) (i) and (ii)] in the 'gross amount' for the purpose of payment Of service on works contract under the composition scheme, is a legal requirement, only with effect from 07/07/2009 when the Explanation became a part of Rule 3(1). 3. The explanation appended to Rule 3(1) with effect from 07/07/2009, categorically says in the proviso that ...nothing contained in this Explanation shall apply to a works contract where the execution under the said contract has commenced or where any payment, except by way of credit or debit to any account, has been made in relation to the said contract on or before the 7 th day of July, 2009. Where execution of works contract has commenced prior to 07/07/2009 or where any payment (except payment through credit or debit) has been made towards a works contract prior to 07/07/2009, then in those cases 'gross amount' for the purpose of payment of service tax does not include the value of free of cost supplies. The content of the above may be brought to be notice of all the constituent members of the trade and industry. (Authority: Board's Circular No. 150/1/2012- ST dated. 08.02.2012 issued from file F.ND.354/ 236/2010- TRU). (RAMULU) ASSISTANT COMMISSIONER (Tech)
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