2018(03)LCX0088(AAR)
AAR-KERALA
Sri Sri. N.C. Varghese
decided on 26/03/2018
AUTHORITY FOR ADVANCE RULING
- KERALA
Tax Tower, Killippalam, Karamana P. O, Thiruvananthapuram - 695 002
PROCEEDINGS OF THE AUTHORITY
FOR ADVANCE RULING
U/s.97 OF THE GOODS AND SERVICES TAX ACT, 2017.
Members present are:
1. Senthil Nathan S, IRS
Joint Commissioner, Office of the Commissioner of Central Tax & Cental Excise,
Thiruvananthapuram.
2. N. Thulaseedharan Pillai.
Joint Commissioner (General),
Office of the Commissioner of State Taxes, Thiruvananthapuram
Sub:- GSTAct, 2017 - Advance
RulingU/s 98 - rate of tax of standing rubber trees - Orders issued.
Read:-Application dated 23.02.2018 from Sri. N.C. Varghese,Thrissur
ORDER NO. CT/3270/18-C3 DATED 26/03/2018
Sri. N.C. Varghese, Thrissur, a
small scale contractor (hereinafter called the applicant), has preferred an
application for Advance Ruling on the rate of tax of standing rubber trees. The
applicant is engaged in the purchase and cutting and removal of rubber trees
from the plantations of certain public sector undertakings owned by the
Government of Kerala and also from private individuals in Kerala.
2. The applicant has submitted that he had participated in the e-auction for
cutting 6696 standing rubber trees from the State Farming Corporation Ltd.,
Vettithitta, a PSU under Central Govt. The applicant contends that the tax
liability of timber and firewood/fuel wood is explained under HSN code 4401 and
there is no direction to collect GST for standing trees of rubber trees which
fall under HSN code 06. But, the State Farming Corporation is demanding 18% on
live rubber trees. The tax liability of GST coming to effect only when the
standing trees are cut down and separated into timber/wood and fuel wood/fire
wood as the case may be.
3. The applicant further contends that the rubber trees are soft wood and cannot
be used for construction purposes. It is generally used for the manufacture of
packing cases and plywood substitutes, etc. after necessary processing.
4. The applicant further argued that in the VAT period, since rubber wood is not
useful for construction purposes, the Government of Kerala exempted the rubber
trees/rubber wood from the purview of tax in order to give relief to the
growers.
5. The applicant, in his application dated 23-02-2018, has raised the following
questions to be determined by the Authority for Advance Ruling.
"(1) Live rubber trees under HSN code 06 the rate of tax 0 but now insisting for
payment of 18% GST which according to the auction there is no clarification
issued by the GST Authorities as on date in spite of letter dtd. 19-12-2017
hence as per the W.A.No.245/2018 of Hon 'ble High Court for clarifying the GST
rates.
(2) Both taxable rate of CGST and SGST for Standing Rubber Trees and Firewood. "
6. The authorized representative of the applicant was heard in the matter and
the contentions raised were examined.
7. As per the terms and conditions in the e-tender of State Farming Corporation,
the contractor should cut and remove the trees from the estate. Further, no
other trees or fuel wood in the estate are allowed to be cut down or removed. As
per the definition of goods in Section 2(52) of CGST Act, 2017, "goods" means
every kind of movable property other than money and securities but includes
actionable claim, growing crops. grass and things attached to or forming part of
the land which are agreed to be severed before supply or under a contract of
suppIy . In this case, under the contract of supply, growing crops - i.e.,
rubber trees are agreed to be severed before supply and hence, comes under the
definition of 'goods'. Thus, standing rubber trees no longer remain as such.
Therefore, it can only be treated as 'wood in rough form'.
8. In GST, firewood is exempted as per HSN Code 4401. There is no
differentiation between soft wood and hardwood in GST.
9. In the light of the aforesaid circumstances, we rule as under.
RULING
It is hereby clarified that rate
of tax on rubber wood in the aforesaid transaction is 18% under the HSN 4403.
Equivalent .