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Services rendered to INS Kalinga, Visakhapatnam whether exempted under service tax or not, Service Tax

Issue Id: - 111696
Dated: 27-3-2017
By:- Gorantla Bhaskar Rao

Services rendered to INS Kalinga, Visakhapatnam whether exempted under service tax or not


  • Contents

Dear sir,

One of my clients is awarded a contract for undertaking work of Replacement of BER Central AC plant and cooling appliances (i.e., providing all material and labour for the said work) at Indian Navy Station Kalinga, Visakhapatnam from February, 2017 onwards and is under the impression that the same is exempted from Service Tax. But I am of the view that exemption is not avilable to such works under the provisions of Service Tax. Requesting experts to guide me on this subject.

Posts / Replies

Showing Replies 1 to 6 of 6 Records

Page: 1


1 Dated: 27-3-2017
By:- Himansu Sha

Service tax on works contract will be applicable if the contract is after 01.03.2015


2 Dated: 27-3-2017
By:- Rajagopalan Ranganathan

Sir,

Notification No. 25/2012-ST dated 20.6.2012 a amended exempts services enumerated therein. Services provide to Indian navy is not exempted under this Notification. Since the nature of service provided is works contract service, as per Sl. No. 9 of Notification No. 30/2012-ST dated 20.6.2012 as amended 50% of service tax payable is to be paid by the provider of the service and the remaining 50% of service tax payable is to be paid by the receiver of the service.


3 Dated: 27-3-2017
By:- KASTURI SETHI

No exemption of WCS provided to Govt. if contract has been executed on or after 1.3.15. I support the views of both experts.


4 Dated: 28-3-2017
By:- Himansu Sha

Thank you sir


5 Dated: 31-3-2017
By:- Ganeshan Kalyani

Neither in mega exemption notification no. 25/2012-ST or in negative list of services, the service provided to navy is mentioned which means the service is taxable. Thanks.


6 Dated: 3-4-2017
By:- Gorantla Bhaskar Rao

Dear experts,

Thank u very much for all the experts for clarifying the doubt. Very grateful to u all sir.


Page: 1

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