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Amount paid to Director, Goods and Services Tax - GST

Issue Id: - 118676
Dated: 3-8-2023
By:- Kaustubh Karandikar

Amount paid to Director


  • Contents

Amount paid by XYZ Pvt. Ltd. to Mr. PQR (Proprietor – ABC) towards Repairs & Service Charges and Labour Charges and ABC paid GST on it. Mr. PQR is also a director of XYZ Pvt. Ltd. Any GST implication to XYZ Pvt. Ltd. since PQR is director of XYZ Pvt. Ltd. and proprietor of ABC?

Posts / Replies

Showing Replies 1 to 6 of 6 Records

Page: 1


1 Dated: 3-8-2023
By:- Amit Agrawal

There is no liability to pay GST under RCM on XYZ Pvt. Ltd., as subject services were NOT provided by Mr. PQR in his capacity as director of the Co.

These are ex facie views of mine and the same should not be construed as professional advice / suggestion.


2 Dated: 4-8-2023
By:- Shilpi Jain

Transactions between XYZ and ABC to be at OMV since these are related persons.

Why has this query arisen?


3 Dated: 4-8-2023
By:- Shilpi Jain

Also amount paid to PQR is as a proprietor of ABC. No liabiltiy under RCM


4 Dated: 4-8-2023
By:- GUNASEKARAN K

My understanding & view as follows;

1. It is not remuneration paid by XYZ to Mr.PQR

2. ABC issued Tax Invoice for supply of Repair and Service to XYZ and paid the output liability, hence no other Tax impact i.e.RCM payable by XYZ.

3. The transaction between ABC and XYZ only not XYZ and Mr.PQR


5 Dated: 5-8-2023
By:- GUNASEKARAN K

In continuation of my reply at serial No. 4 above, I wish to refer the relevant Circular for getting clarify on "Clarification in respect of levy of GST on Director’s remuneration"

'But this circular not relating to the transaction between ABC and XYZ'

Explanation: ABC & XYZ are different entities registered under GST which are liable to tax on their supplies falling under the definition of "Supply" under GST.

Circular No: 140/10/2020 - GST


6 Dated: 8-8-2023
By:- Padmanathan Kollengode

I agree with Experts,

XYZ Pvt and PQR are related persons. If ABC is entited to full ITC, then value declared in invoice shall be the Transaction Value. Other wise OMV has to be determined.

Regarding RCM liability, it is not in capacity as director and hence no RCM as covered by the recent circular on this.


Page: 1

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