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APPLICABILITY OF GST ON PAYMENT OF ACTUAL WAGES THROUGH LABOUR CONTRACTOR, Goods and Services Tax - GST |
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APPLICABILITY OF GST ON PAYMENT OF ACTUAL WAGES THROUGH LABOUR CONTRACTOR |
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QUERY REGARDING GST APPLICABILITY ON PAYMENT OF WAGES TO INDIVIDUAL LABOURERS
BILL NO.1 (APRIL 2018)
BILL NO.2 (APRIL 2018)
(Total Mandays - Paid Holidays = Total Working Days)
ACTIVITIES OR TRANSACTIONS WHICH SHALL BE TREATED NEITHER AS A SUPPLY OF GOODS NOR A SUPPLY OF SERVICES
Posts / Replies Showing Replies 1 to 10 of 10 Records Page: 1
Pure agent concept will not work out for man power supply contract. Need to pay GST on entire amount. SAC: 998519 GST: 18% CGST: 9.00% SGST: 9.00% Section Description: Section 8 : Business and Production Services Heading: Support services Service Description: Other employment & labour supply services n.e.c
GST is applicable on the whole amount. Examples of pure agent are : C & F Agent, CHA etc. You do not conform to the criteria laid down for exemption in Schedule III.
Sir, Rule 33 of CGST Rules, 2017 states that- Notwithstanding anything contained in the provisions of this Chapter, the expenditure or costs incurred by a supplier as a pure agent of the recipient of supply shall be excluded from the value of supply, if all the following conditions are satisfied, namely,- (i) the supplier acts as a pure agent of the recipient of the supply, when he makes the payment to the third party on authorisation by such recipient; (ii) the payment made by the pure agent on behalf of the recipient of supply has been separately indicated in the invoice issued by the pure agent to the recipient of service; and (iii) the supplies procured by the pure agent from the third party as a pure agent of the recipient of supply are in addition to the services he supplies on his own account. Explanation.- For the purposes of this rule, the expression “pure agent” means a person who- (a) enters into a contractual agreement with the recipient of supply to act as his pure agent to incur expenditure or costs in the course of supply of goods or services or both; (b) neither intends to hold nor holds any title to the goods or services or both so procured or supplied as pure agent of the recipient of supply; (c) does not use for his own interest such goods or services so procured; and (d) receives only the actual amount incurred to procure such goods or services in addition to the amount received for supply he provides on his own account. Illustration.- Corporate services firm A is engaged to handle the legal work pertaining to the incorporation of Company B. Other than its service fees, A also recovers from B, registration fee and approval fee for the name of the company paid to the Registrar of Companies. The fees charged by the Registrar of Companies for the registration and approval of the name are compulsorily levied on B. A is merely acting as a pure agent in the payment of those fees. Therefore, A’s recovery of such expenses is a disbursement and not part of the value of supply made by A to B. In your case the supplier of manpower cannot be treated as 'pure agent' of you as per the definition given in the rule. Therefore the contractor is correct in charging gst on the entire amount charged by him towards supply of manpower.
Employer of the contractual labour shall be the contractor not company. Moreover,as per ESI and PF records the employer shall be contractor. Therefor the transaction cannot be covered under Schedule III. Labour contractor cannot be treated as pure agent since as per rule 33(iii) "the supplies procured by the pure agent from the third party as a pure agent of the recipient of supply are in addition to the services he supplies on his own account". In your case the contractor is not taking any additional services from the labour instead this is the primary services which the contractor is providing and charging for this. GST applicable on entire amount.
Beautifully explained by all experts. Appreciable for the quality. hard labour, precious time devoted, quickness and enthusiasm.
Yes, I am also of the opinion that pure agent concept will not work in this case. GST is applicable on the entire consideration amount. Thanks.
GST is applicable on the Gross value of the Bill so raised/issued.
Sir in the same example service recipient should deduct TDS on full amount or only on his charges that is bill no 2 or he should deduct TDS on both the invoices? also under which category service recipient should deduct TDS 194J or 194C kindly clarify the same. Thanks in advance for your valuable guidance.
If contractor raised bill for PF and ESI charges separately.whether GST is to be charged on that bill or not?
GST is chargeable. Page: 1 Old Query - New Comments are closed. |
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