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ITC ON CAPITAL GOODD, Service Tax |
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ITC ON CAPITAL GOODD |
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A company registered in Jaipur providing service of transportation all over india, purchased vehicle in Bihar for transportation. The Invoice contains excise duty with billing as The name of the company and address of their site office at Bihar. The company makes billing from Jaipur and all accounts are maintained in Jaipur itself. Can CENVAT CREDIT be disallowed on this vehicle as the premise address mentioned in the invoice is not of the regiatered premise? Posts / Replies Showing Replies 1 to 10 of 10 Records Page: 1
Dear Querist, What is the status of registration ? Whether Centralised registration or not ? Pl. clarify.
Thery are not having Centralised registration, but they are Providing Services like any other consulancy service company, and maintaining books of accounts and other at their principal place of business only
This is procedural lapse only.
Can you quote some case law please.
I shall trace out and post here. Meanwhile, elaborate your query so that you should get most relevant case law.
An Assessee, a Pvt Ltd Company is registered under Service Tax in Jaipur(Single Registration), providing service of transportation all over India. It has its site office at Jharkhand as well and registered office(MCA) at Kolkata. The assessee purchased vehicle with Excise Duty duly displayed on the invoices and claimed CENVAT on the same on March 2017. The invoices were billed to Jharkhand Site office with the company name duly entered into the same. The assessee then, claimed the said ITC balance in their TRAN-1 in GST registered in Jharkhand. Department claiming that, the ITC is not allowed, since the same was purhcased at Jharkhand address while the billing should have been done at Jaipur address, and hence, disallowing the Credit. Can this credit be disallowed, just because the address is wrong?? No where inthe CCR RUles mentions the same, it say only the premise address shoudl be mentioned in the invoice.
Details are enough for me. I shall trace out relevant case laws and post ASAP.
SH.NAMAN DOKANIA Ji, Peruse the following case law thoroughly (word for word). Also go through the case laws relied upon/metioned in this judgement. You will have to work hard to get relief. If any doubt or further query arises, let me know in this forum.I shall revert immediately.
Dear Sethi Sirji I appreciate your relentless efforts to provide the authenticated solutions to the needy querists. This is conspicuous in the instant case. What is more commendable is the way you have interacted with the querist to frame the query in the right perspective and then to provide the effective solutions. Keep enlightening. Thank you very much on behalf of all querists.
Sh. Sadanand Bulbule Ji, Sir, I am all praise for your impulsive expression. Par excellence. Deepest regards. K.L.SETHI Page: 1 Old Query - New Comments are closed. |
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