2024(04)LCX0593(AAAR)

AAAR-ANDHRA PRADESH

Zuari Farmhub Limited

decided on 24-04-2024

At the outset

BEFORE THE APPELLATE AUTHORITY FOR ADVANCE RULING
for the State of Andhra Pradesh (Goods and Service Tax)

(office at o/o chief commissioner of state Tax, Govt. of A.p.,D.No. L2-46g-4,
adjacent to NH-16, Service Road, Kunchanapalli, Guntur District, AP-522501)

Present:

Sri Sanjay Pant (Member) (Central Tax)

Sri M.Girija Shankar (Member) (State Tax)

The 24th day of April, 2024

Order /AAAR/AP/02(GST)/2024

1 Name and address of the appellant M/s.  Zuari Farmhub Limited
3rd Floor, 40-t-62, Nagas Hafeez,
Plaza, Benz Circle, Opp. Eenadu Office,
Krishna, Andhra Pradesh- 520 010
2 GSTIN 37 AABCZ4SO2ELZK
3 Date of filing of Form GST ARA-02 03.02.2024
4 Hearing ( Virtual) 21.03.2024
5 Authorized Representative Badrinath N R, Partner
6 Jurisdictional Authority Centre Autonagar Circle, Vijayawada-II Division

(Under Section 101 of the Central Goods and Service Tax Act and the Andhra Pradesh Goods and Service Tax Act).

At the outset, we would like to make it clear that the provisions of both the CGST Act and the APGST Act are the same except for certain provisions. Therefore, unless a mention is specifically made to such dissimilar provisions, a reference to the CGST Act would also mean a reference to the same provisions under the APGST Act.

The present appeal has been filed under Section 100 of the Central Goods and Services Tax Act, 2017 and the Andhra Pradesh Goods and Services Tax Act, 2017 [hereinafter referred to as “the CGST Act and APGST Act”] by M/s. Zuari Farmhub Limited (herein after referred to as the “Appellant”) against the Advance Ruling No. AAR No. 11/AP/GST/2023 dated 15.12.2023 issued by Authority for Advance Ruling, Andhra Pradesh.

1. Background of the Case:

Product 1: Mangala Borosan Composition Product 2: MangalaGl Composition
Items: Items:
Zinc Sulphate Monohydrate (ZnSO4.H2O) 32.50% Zinc Sulphate Monohydrate(ZnSO 4.H2O) 17.00%
Iron (II) sulphate (FeSO4) 28.00% Iron (II) sulphate (FeSO4) 13.00%
Manganese (II) sulphate (MnSO4) 08.00% Manganese (II) sulphate (MnS04) 04.00%
Borax 04.00% Borax 11.00%
Dolomite 20.00% Dolomite 20.00%
Soap stone powder 07.50% Soap stone powder 22.50%
    Magnesium sulphate (MgSO4) 10.00%
    Copper Sulphate (CUSO4) 02.50%
Total 100.00%   100.00 %

The Authority for Advance Ruling Andhra Pradesh in its orders in AAR No. 11/AP/GST/2023 dated 15.12.2023 held:

Question 1 : Whether the products referred supra i.e., Mangala Borosan and Mangala G1 are classifiable under Chapter Heading 3105 as Fertilisers?

Answer 1: No

Question 2 : If the answer to the question no. 1 is in negative, what would be the appropriate classification of the said micronutrient Fertilisers?

Answer 2 : 2833 29 90 (Under Schedule III-18 % (CGST-9% and SGST-9 % or IGST-18%)

Aggrieved by the impugned order, the appellant has filed the present appeal on the following grounds.

2. Grounds of Appeal:

Appellant's submissions are broadly summarised based on the following:

A. Products in question (Mangala Borosan and Mangala Gl) are nothing but Fertilisers.

(i) 'the essential plant nutrients' include Primary Nutrients (Nitrogen, Phosphorous and Potassium), Secondary Nutrients (Calcium, Magnesium and Sulphur) and Micronutrients (Zinc, Manganese, Copper, Iron, Boron and Molybdenum)

(ii) “Mixture of Micronutrients” is defined in Section 2(mb) of the FCO, 1985 as a mixture which are made by mixing of micronutrients notified in Schedule-I under sub-heading “Ig MICRONUTRIENTS” of said Order.

(iii) “Mixture of Fertiliser” is defined in Section 2(n) of the FCO, 1985 as a mixture of Fertilisers made by physical mixing of two or more fertilisers with or without inert material in physical or granular form and includes a mixture of NPK fertilisers, a mixture of micronutrient fertilisers and a mixture of NPK with micronutrient fertilisers;

B. Most appropriate classification of the Fertilisers will be under chapter 31 of the First Schedule to The Customs Tariff Act, 1975.

HSN Disclosures
3105 Mineral or chemical fertilisers containing two or three of the fertilising elements nitrogen, phosphorus and potassium; other fertilisers; goods of this chapter in tablets or similar forms or in packages of a gross weight not exceeding 10 kg
   
3105 90 - Other
   
3105 90 90 --- Other

(a) In the case of CIBA India Ltd. Versus Commissioner of Customs, Chennai - 2009 (237) E.L.T. 207 (Tri. -Chennai);

(b) Commissioner of Customs, Chennai Versus SLV Fertichem - 2018 (363) E.L.T 847 (Tri. -Chennai).

C. Resorting to classification under Chapter 38 which provides for classification of miscellaneous chemical products, and includes preparations of chemical industry or allied industries, would be inappropriate

HSN Disclosures
3824 Prepared binders for foundry moulds or cores; chemical products and preparations of the chemical or allied industries (including those consisting of mixtures of natural products), not elsewhere specified or included
3824 9 - Other
3824 99 00 -- Other

D. Conclusion by the LAAR, the product is mixture of inorganic chemicals is erroneous as the product is nothing, but a fertiliser made up of micronutrients specified under serial number 1(g) of Schedule 1, Part (A) of the Fertilizer Control Order, 1985.

E. Product being a fertilizer should attract GST at the rate of 5% under HSN 3105 90 90. However, without prejudice to the said submissions, even if the product is to be considered as mixture of micronutrient as per FCO order, then rate of GST should be 12% under Chapter 38

SI.No Chapter / Heading / Subheading / Tariff Item Description of Entry Schedule and Rate of GST
182D 3105 Mineral or chemical fertilisers containing two or three of the fertilising elements nitrogen, phosphorus and potassium; other fertilisers; goods of this Chapter in tablets or similar forms or in packages of a gross weight not exceeding 10 kg; other than those which are clearly not to be used as Fertilisers Schedule I –

5% (CGST –

2.5% and SGST –

2.5% or IGST - 5%)
45 3105 Mineral or chemical fertilisers containing two or three of the fertilising elements nitrogen, phosphorus and potassium; other fertilisers; goods of this Chapter in tablets or similar forms or in packages of a gross weight not exceeding 10 kg, which are clearly not to be used as Fertilisers. Schedule III –

18% (CGST –

9% and SGST –

9% or IGST -18%)
SI.No Chapter / Heading / Subheading / Tariff Item Description of Entry Schedule and Rate of GST
56 28 or 38 Micronutrients, which are covered under serial number 1(g) of Schedule 1, Part (A) of the Fertilizer Control Order, 1985 and are manufactured by the manufacturers which are registered under the Fertilizer Control Order, 1985. Schedule II –

12% (CGST –

6% and SGST –

6% or IGST -12%)
 
97 3824 Prepared binders for foundry moulds or cores; chemical products and preparations of the chemical or allied industries (including those consisting of mixtures of natural products), not elsewhere specified, or included Schedule III –

18% (CGST –

9% and SGST –

9% or IGST -18%)
 
SI.No Chapter / Heading / Subheading / Tariff Item Description of Entry Schedule and Rate of GST
39 28 All inorganic chemicals [other than those specified in the Schedule for exempted goods or other Rate Schedules for goods including Fertilizer grade Phosphoric acid
 
Schedule III –

18%

(CGST -9% and

SGST - 9% or

IGST -18%)

3. Personal Hearing:

The proceedings of hearing were conducted through video conference on 21.03.2024. The authorized representative Badrinath N R, Partner, attended and submitted Certificate of Confirmation by Mangalore Chemicals and Fertilizers Limited and reiterated the submissions already made to this Authority.

4. Discussion and Findings:

Findings & Observations:

1. We have gone through the Appeal filed before this Authority, the various, submissions and additional submissions made by the Appellant, and also perused the extracts and other documents along with Certificate of Confirmation given MCFL on record in the matter.

2. The question before the Authority for Advance Ruling, Andhra Pradesh (AAR) and Ruling dated 15-12-2023 of the AAR was as follows:

I. Whether the products referred supra i.e. Mangala Borosan and Mangala G1 are classifiable under Chapter Headings 3105 as Fertilisers?

Answer: No.

II. If the answer is negative, what would be the appropriate classification of the said micronutrient Fertilisers ?

Answer: 2833 29 90 (Under Schedule III - 18% (CGST-9% and SGST-9% or IGST-18%).

3. The Appellant had submitted technical literature along with Certificate of Confirmation given by MCFL and contended that the product “Mangala Borosan” / “Mangala Gl” under classification is in the nature of a Fertilizer falling under Chapter Heading 3105 90 90and urged the AAAR to uphold their contention.

As per the Certificate of Confirmation given by MCFL .where in it was stated that, Mangalore Chemicals & Fertilizers Limited, Mangaluru have been approached by Zuari Farm Hub Limited, having its registered office at No.74, Prestige Feroze, 3rd Floor , Cunningham Road, Vasant Nagar, Bengaluru - 560 052, Karnataka., to analyse the composition of the products referred in, meant to be used as fertilisers and confirm whether the said product comprises or it is made up of “Micronutrients” or “ Mixture of Micronutrients”.

MCFL performed analysis and confirm that the composition of the products is as tabulated below:

SI.No Parameter Mangala Borosan Mangala G1
Specification Result Specification Result
1 Zinc as Zn, per cent by weight, minimum 10.0 10.3 5.0 5.7
2 Iron as Fe, per cent by weight, minimum 5.0 5.2 2.0 2.4
3 Manganese as Mn, per cent by weight, minimum 2.0 2.3 1.0 1.4
4 Boron as B, per cent by weight, minimum 0.3 0.4 1.0 1.2
5 Copper as Cu, per cent by weight, minimum - - 0.5 0.6
Mangala Borosan Composition (by Qty) Mangala G1 Composition (by Qty)
Items: Items:
Zinc Sulphate Monohydrate (ZnSO4.H2O) 32.50 Kg Zinc Sulphate Monohydrate (ZnSO4.H2O) 17.00 Kg
Iron (II) sulphate (FeSO4) 28 00 Kg Iron (II) sulphate (FeSO4) 13.00 Kg
Manganese (II) sulphate (MnSO4) 08.00 Kg Manganese (II) sulphate (MnSO4) 04.00 Kg
Borax 04.00 Kg Borax 11.00 Kg
Dolomite 20.00 Kg Dolomite 20.00 Kg
Soap stone powder 07.50 Kg Soap stone powder 22.50 Kg
    Magnesium sulphate (MgSO4) 10.00 Kg
    Copper Sulphate (CUSO4) 02.50 Kg
Total 100.00 Kg   100.00 Kg

Further stated, to refer to serial number 1 (g) of Schedule 1, Part (A) of The Fertilizer (Inorganic, Organic or Mixed) (Control) Order, 1985 and certified that out of the above composition, the following are micro-nutrients.

A. Manganese Sulphate (Entry No. 2)

B. Copper Sulphate (Entry No. 4)

C. Iron/Ferrous (II) Sulphate (Entry No. 5)

D. Zinc Sulphate Mono-hydrate (Entry No. 9)

E. Magnesium Sulphate (Entry No. 10)

F. Boran / Borax (Entry No. 16)

Further certify that the products, Mangala Borosan and Mangala G1 are mixtures of micronutrients and are fertilizers meant for use in agriculture only.

The Appellant has stated that the constituents of the products are as follows:

Product 1:Mangala Borosan Composition (by Qty) Product 2:Mangala G1 Composition (by Qty)
Items: Items:
Zinc Sulphate Monohydrate (ZnSO4.H2O) 32.50 Kg Zinc Sulphate Monohydrate (ZnSO4.H2O) 17.00 Kg
Iron (II) sulphate (FeSO4) 28 00 Kg Iron (II) sulphate (FeSO4) 13.00 Kg
Manganese (II) sulphate (MnSO4) 08.00 Kg Manganese (II) sulphate (MnSO4) 04.00 Kg
Borax 04.00 Kg Borax 11.00 Kg
Dolomite 20.00 Kg Dolomite 20.00 Kg
Soap stone powder 07.50 Kg Soap stone powder 22.50 Kg
    Magnesium sulphate (MgSO4) 10.00 Kg
    Copper Sulphate (CUSO4) 02.50 Kg
Total 100.00 Kg   100.00 Kg

We have further seen the submissions made by the Appellant. It is pertinent to mention that as per “Explanation” under Notification No.1/2017-CT(Rate), reference to Tariff, Heading, sub-Heading, Chapter shall refer to the First Schedule of the Customs Tariff Act, 1975. It further goes on to add that the Rules of Interpretation as per the Customs Tariff Act, the Section Notes and the Chapter Notes shall apply for interpretation of the said Notification. The relevant provision of the Explanation under Notification No. 1/2017-CT(Rate) is reproduced hereunder for ready reference:

Explanation. - For the purposes of this notification, -

(iii) “Tariff item”, “sub-heading” “heading” and “Chapter” shall mean respectively a tariff item, sub-heading, heading and chapter as specified in the First Schedule to the Customs Tariff Act, 1975 (51 of 1975).

(iv) The rules for the interpretation of the First Schedule to the Customs Tariff Act, 1975 (51 of 1975), including the Section and Chapter Notes and the General Explanatory Notes of the First Schedule shall, so far as may be, apply to the interpretation of this notification.

Therefore, in order to arrive at a conclusive classification of the product – “Mangala Borosan” / “Mangala Gl”, the relevant Section Notes and Chapter Notes of Chapter 31 of the Customs Tariff Act are reproduced hereunder.-

Chapter - 31

Chapter Notes



6. For the purposes of heading 3105, the term other fertilisers applies only to products of a kind used as fertilisers and containing, as an essential constituent, at least one of the fertilising elements nitrogen, phosphorus or potassium.

4. It is clearly evident that as per said Chapter Notes, for a product to be classified under Heading 3105 as Other Fertilisers, the same should contain at least one of the fertilizing elements namely - Nitrogen (N), Phosphorus (P), or Potassium (K). Further, in all the headings referring to Fertilizers, there is a clear necessity that the said products should contain one or more of the fertilizing elements viz. Nitrogen, Phosphorous or Potassium”.

5. This requirement is also evident in the GST Rate Notifications in vogue, wherein Fertilizers under Heading 3105 are covered both under Schedule-I and Schedule-III chargeable to tax at the rate of 5% and 18% respectively. The relevant extracts are reproduced hereunder for ready reference:

Schedules S.No. Chapter/Heading/Sub-heading/Tariff item Description of Goods CGST Rate(%) SGST/UTGST Rate (%)
I 182D 3105 Mineral or chemical fertilisers containing two or three of the fertilising elements nitrogen, phosphorus and potassium; other fertilisers: goods of this Chapter in tablets or similar forms or in packages of a gross weight not exceeding 10 kg; other than those which are clearly not to be used as fertilizers”; 2.5% 2.5%
II 45 3105 Mineral or chemical fertilisers containing two or three of the fertilising elements nitrogen, phosphorus and potassium; other fertilisers: goods of this Chapter in tablets or similar forms or in packages of a gross weight not exceeding 10 kg, which are clearly not to be used as fertilizers 9% 9%

The description of each of the Headings is as under:

Chapter/Heading/Sub-heading/Tariff item Description of Goods
3105 Mineral or chemical fertilisers containing two or three of the fertilising elements nitrogen, phosphorus and potassium; other fertilisers: goods of this Chapter in tablets or similar forms or in packages of a gross weight not exceeding 10 kg; other than those which are clearly not to be used as fertilizers”;
3105 Mineral or chemical fertilisers containing two or three of the fertilising elements nitrogen, phosphorus and potassium; other fertilisers: goods of this Chapter in tablets or similar forms or in packages of a gross weight not exceeding 10 kg, which are clearly not to be used as fertilizers

6. The appellant is aware that their product does not contain the essential constituents of Nitrogen, Phosphorous or Potassium as stipulated by the Chapter Notes cited above. This is also evidenced by the constituents furnished by the Appellant and which was reproduced above. While the Appellant is claiming the same to be Fertilisers, yet for the purpose of taxation, the relevant Entry in the Tariff determines the Tax rate. As seen from the Customs Tariff as well as the GST Rate Notification, the description for Other Fertilisers is clearly mentioned and there is a pre-requisite that such products must contain one or more of the fertilizing elements viz.,Nitrogen, Phosphorous or Potassium. Further, while Fertilizers are classified under Chapter 31 of the Tariff, however, classification of a product is a function of not only the description of the Entries therein, but the inclusion / exclusions mentioned in the Section Notes and Chapter Notes further read with the General Rules of Interpretation.

7. The appellant submitted further that “in the instant case, products manufactured by the appellant though does not involve direct application of nitrogen, phosphorous or potassium (N, P, K as they are referred to in the chemical terminology), it is relevant to take note that, in the process of application of the product by the end user, one of the trace elements, viz. nitrogen gets emanated, with help of which i.e. nitrogen, it becomes possible to deliver the metal ions or micronutrients to the plant system. Therefore, though not directly, in the mixture of chemicals (micronutrients)”. However, the Chapter Notes 6 to Chapter 31 of Customs Tariff Act, 1975 specifies and classifies the products / goods based on the contents at the time of import/export but not based on the elements that are produced / emanated during the use of the same.

Thus, the appellant's contention that the Nitrogen is emanated during the use of the products in question and thus eligible for classification under Chapter 31 of the Customs Tariff is not tenable. Products are to be assessed based on the form and contents at the time of presentation / supply and not on the results of their usage.

8. The appellant relied upon The Fertilizer Control Order (FCO), 1985 for classification of the products in question under Chater 31 or alternatively Chapter 38. As seen from the relevant Notification, there is no reliance on the FCO Order to determine the classification of the product. The Appellant has missed a key element of the definition of Fertilizer under the FCO. The relevant definition as provided by the Appellant is extracted hereunder for ready reference:

3.2. According to Section 2(h) of FCO, 1985 “Fertiliser” means any essential substance, either in straight or mixed form and derived from either inorganic, organic or mixed sources, that a used or intended to be used to provide essential plant nutrients or beneficial elements or both for the soil or for the crop or makes essential plant nutrients available to the plants either directly or by biological process or by both in the soil or plant as notified from time to time by Central Government and specified in the schedules appended to this order or as may be notified by the State Governments, and includes a biostimulant and nanofertiliser.

Explanation:- For the purpose of Fertiliser, -

(i) “the essential plant nutrients“ include Primary Nutrients (Nitrogen, Phosphorous and Potassium). Secondary Nutrients (Calcium Magnesium and Sulphur) and Micronutrients (Zinc, Manganese, Copper, Iron, Boron and Molybdenum);

(ii) “Beneficial element” means any element as notified by the Central Government from time to time.

'Mixture of Micronutrient” is defined in section 2(mb) of the FCO, 1985 as a mixture which are made by mixing of micronutrients notified in Schedule I under the sub-heading “1(g) MICRONUTRIENTS” of said Order.

“Mixture of Fertiliser” is defined in Section 2(n) of the FCO,1985 as a mixture of fertilisers made by physical mixing two or more fertilisers with or without inert material in physical or granular form and includes a mixture of NPK fertilisers, a mixture of micronutrient fertilisers and a mixture of NPK with micronutrient fertilisers
.

9. In the “Explanation” under the said Section 2(h) it is clarified that for the purpose of Fertilizer, Essential plant nutrients include Primary Nutrients (Nitrogen, Phosphorous and Potassium) ... It may be noted that in the definition under Section 2(h) cited, “Fertiliser” means any essential substance used or intended to be used to provide “essential plant nutrients”. As per the Explanation, such essential plant nutrients should contain Nitrogen, Phosphorous and Potassium. Relying on this definition does not change the ingredients required under the Customs Tariff / GST Rate Notification for determination of a product as Other Fertilizer / Fertilizer. It may be a fact that micronutrients mentioned by the Appellant are those Notified by the State Government, However, this does not change the classification of the product under the GST law.

10. In view of the above, we are in agreement with the Ruling of the Authority for Advance Ruling, Andhra Pradesh passed in Order AAR No. 11/AP/GST/2023 Dtd. 15.12.2023 and the Ruling appears to be Legal and Proper. Hence, we pass the following order.

5.Decision:

The Ruling passed by AAR vide AAR No. 11/AP/GST/2023 Dtd.15.12.2023 is upheld.

Sd/-Sanjay pant
chief commissioner (central Tax)
Member
Sd/-M. Girija Shankar
chief commissioner (State Tax)
Member

To

M/s Zuari Farmbub Limited, D.No. 40-1-62,3rd Floor Nagas Hafeez Plaza, Benz
Cirlce, Opp. Eenadu Office, Vijayawada, A.P., 520010
(By Registered Post)

Copy to

1. The Assistant Commissioner of State Tax, Autonagar Circle, Vijayawada-Il
Division
(By Registered Post)

2. The Superintendent, Central Tax, CGST Benz Cirlce- Range, Vijayawada
Division. (
By Registered Post)

Copy submitted to

1. The Chief Commissioner (State Tax), O/o Chief Commissioner of State
Tax, Kunchanapalli, Guntur District, A.P.,5225Ot.

2. The Chief Commissioner of Customs & Central Tax, O/o Chief Commissioner
of Central Tax & Customs, Visakhapatnam Zone, GST Bhavan, Port area,
Visakhapatnam-530035.A.P. (By Registered Post).