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Chargiability of service tax, Service Tax |
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Chargiability of service tax |
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Dear Sir, Since Nov 1996 we are registered under Courier Services and providing Express Cargo Services on movement of Cargo by Road, time sensitive in nature. and door to door service. On 6th of August 08 there was a Circular 104 issued by Gautam Bhattacharya Commissioner (Service Tax) , regarding Service Tax on GTA services where the Rate defined is @ 12.36% on 25%(Or 3.09%) of the Service Charges. Based on the Circular we are receiving many calls from our customers that we should charge Service Tax as GTA services only. Now our query is whether the Services Provided by Courier Agencies related to Transportation by Road and the GTA services comes under one Net and Charge as GTA or we have to still charge service tax @ 12.36% on complete service charges? As of now there is no specific notification related to GTA / Courier Agency Services where the services are almost same but the rate of Service Tax differs. Posts / Replies Showing Replies 1 to 1 of 1 Records Page: 1
I think the contents of a circular can not override the provisions of the Act. You may take the shelter of the circular only if there is confusion or your services are in the nature of transport of goods by road. In case, there is no confusion and apparent facts in favor the classification of services within the category of “Courier Service”, you may continue under the same.
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