Discussions Forum | ||||||||||
Home Forum Service Tax This
A Public Forum.
Submit new Issue / Query
My Issues
My Replies
|
||||||||||
Reverse charge under supply of manpower, Service Tax |
||||||||||
|
||||||||||
Reverse charge under supply of manpower |
||||||||||
We are having 2 firms with different name. Both firms registered under Central Excise. One unit is private limited & other unit is Partership firm. Posts / Replies Showing Replies 1 to 5 of 5 Records Page: 1
Yes, it is applicable on Partnership firm if the service provided by LLP, HUF, Partnership firm etc.
No, It is not applicable on partnership firm if consttution of service provider is individual,proprietor,HUF or parttnership situated in taxable territory & if service receiver is also individual,proprietor,HUF or partnership situated in taxable territory.Service provider have to pay 12.36% of ST on the Gross amount of service charges.(Direct Charges)& service Receiver is to pay NIL (Under partial reverse Charge)
Authority : Under "Direct charges"(Partial Reverse charge ,does not Operate)
SHIVKUMAR SHARMA
In case your partnership firm is service provider then:- a) If it provides services to a body corporate then you have to pay 25% and 75% shall be paid by the body corporate , the receiver of the service. b) If it oprovides service to an entity other than a body corporate then you have to pay full 12.36% service tax. On the other side if you are the service receiver, then the entity providing the service shall charge full amount of 12.36% in the bill raised on your partnership firm Thanks Shiv Bansal
Under joint charge mechanism , When taxable services in the nature of supply of manpower or security services are provided for any purpose by an individual, H.U.F. or partnership firm whether registered or not located in a taxable territory to a business entity registered as Body Corporate in a taxable territory the tax liability shall be shared by the service provider and service recipient at 25% and 75% respectively This joint charge mechanism applies only when the service recipient is a body corporate. This does not apply when the service recipient is a partnership firm
not applicable to partnership firm Page: 1 Old Query - New Comments are closed. |
||||||||||