2018(05)LCX0075(AAR)
AAR-KERALA
Sri Gopal Gireesh, Veena chemicals
decided on 29/05/2018
AUTHORITY FOR ADVANCE RULING
- KERALA
Tax Tower, Killippalam, Karamana P. 0, 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:- GST Act, 2017 - Advance
Ruling U/s 97 - rate of tax of implants for joint replacements - Orders issued.
Read:-Application dated 05.03.2018 from Shri. Gopal Gireesh, Veena Chemicals,
Thiruvananthapuram. .
ORDER No. CT/4683/2018-C3 DATED 29/05/2018
1. Shri. Gopal Gireesh, Veena
chemicals, Thiruvananthapuram a retail dealer of implants for joint replacements
(hereinafter called the applicant) is a registered person having GSTIN
32ADXPG4961E1ZF. The applicant has preferred an application for Advance Ruling
on the rate of tax in respect of the commodities listed in the Annexure to the
Application.
2. The applicant has stated in the application that all the commodities listed
in the Annexure are implants for handicapped patients in the nature of Joint
Replacements falling under HSNCode 90213100 and are included under Schedule I.
The applicant further stated that the items mentioned in the Annexure are
included under Schedule I; Serial No.257 - List 3E(9) - Implants for handicapped
patients, joint replacements etc and the rate of GST is 5%. As per Order No. C7
4264/06/CT dated 14.12.2007 of the erstwhile KVATAct, these items i.e.; Total
Knee Implants and Total Hip Implants were falling under First Schedule of the
KVAT Act and hence, were exempt from tax.
3. A personal hearing was granted to the applicant on 17.05.2018. Shri. Lalji
Vijayan, Chartered Accountant represented the applicant in the personal hearing
and made the following written subniissions on behalf of the applicant.
4. The applicant is, inter alia, engaged in the distribution and trading of
implants for Joint Replacement purchased by the applicant from Mis Johnson &
Johnson Pvt Ltd. The lists of products enclosed as Annexure are implants for
joint replacements falling under HSN Code 90213100. The question to be decided
is whether the products get covered under Serial No. E(9) of List 3 of Entry 257
of Schedule I of Notification No. 11/2017 - Central Tax (Rate) dated 28.06.2017
attracting GST at the rate of 5% or Serial No. 221 of Schedule II of the
Notification No. 11/2017 - Central Tax (Rate) dated 28.06.2017 attracting GST at
the rate of 12%. The products listed in Annexure are falling under Customs
Tariff Head 90213100 - Artificial Joints. Such implants for joint replacement
are specifically covered under Serial No. E(9) of List 3 of Entry 257 of
Schedule I of Notification No. 11/2017 - Central Tax (Rate) dated 28.06.2017.
Sl. No. |
Chapter/Heading/Sub -Heading/ Tariff Item | Description of goods |
(1) |
(2) |
(3) |
257 |
90 or any other Chapter |
Assistive devices, rehabilitation aids and other goods for disabled, specified in List 3 appended to this Schedule |
List 3:
E(9): Instruments and implants for severely physically handicapped patients and
joints replacement and spinal instruments and implants including bone cement.
Schedule with identical entry is notified under SGST Act by G.O. (P) No.
6412017/TAXES dated 30.06.2017.
On the contrary, Serial No. 221 of Schedule II attracting 12%GST is a general
entry with the following description;
Splints and other fracture appliances, artificial parts of the body, other
appliances which are worn or carried, or implanted in the body, to compensate
for a defect or disability; intraocular lens [other than orthopaedic appliances,
such as crutches, surgical belts and trusses, hearing aids}. JJ
Entry 221 of Schedule II is a generic and wider entry covering items like
fracture appliances, artificial parts of the body, etc.
5.. For the purpose of classification and the determination of applicable rate
for a supply of goods under the CGST Act, 2017, the various Chapter Headings,
sub - headings, Interpretative Rules and Chapter Notes under the Customs Tariff
Act, 1975 has been adopted by Notification No. 1/2017 - Central Tax (Rate) dt.
28-06-2017. The Explanation appended to the Notification No. 1/2017 - Central
Tax (Rate) dt. 28-06-2017 reads as follows;
Explanation: -
(1) In this Schedule, tariff item, heading, sub-heading and Chapter shall mean
respectively a tariff item, heading, sub-heading and Chapter as specified in the
First Schedule to the Customs Tariff Act, 1975 (51 of 1975).
(2) The rules for the interpretation of the first Schedule to the said
Customs Tariff Act, 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 above table.
Accordingly, the appropriate classification as determined under the Customs
Tariff Act, 1975 including on an application of the Chapter Notes and General
Explanatory Notes, would apply for the purpose of levy of GST.
6. As per Rule 3 of the General Rules for Interpretation of Import Tariff the
heading that provides the most specific description shall be preferred to
headings providing a more general description. Rule 3 reads as follows;
Rule 3 - When by application of rule 2 (b) or for any other reason, goods
are, prima facie, classifiable under two or more headings, classification shall
be effected as follows; (a) The heading which provides the most specific
description shall be preferred to headings providing a more general description.
"
In view of the above, implants for joint replacement is clearly and most
specifically covered under Sl No. E(9) of List 3 of Entry 257 of Schedule I
attracting 5%GST. Further, there is a similar entry under Sl No. 578 - List 30
Entry E(9) of Notification No. 5012017 - Customs dated 30.06.2017 where under
the effective rate of Basic Customs Duty is Nil. The entry is reproduced below;
Sl. No. |
Chapter/Heading/Sub -Heading/ Tariff Item | Description of goods |
(1) |
(2) |
(3) |
578 |
90 or any other Chapter |
Assistive devices, rehabilitation aids and other goods for disabled, specified in List 3 appended to this Schedule |
List 30:
E(9): Instruments and implants for severely physically handicapped patients and
joints replacement and spinal instruments and implants including bone cement.
The industry dealing in joint replacement products also avails benefit of Nil
BCD on import of implants for joint replacement under the above entry. There
needs to be harmonization in the interpretation I applicability I coverage of
entries under the Customs Tariff and GST. Shri. Lalji Vijayan, Chartered
Accountant representing the applicant further reiterated and confirmed that all
the commodities as listed in the Annexure to the application by their technical
I trade names are nothing but implants for joint replacement falling under
Customs Tariff Heading 90213100 - Artificial Joints. In support of the above,
the applicant produced sample copies of the invoices issued by M/s Johnson and
Johnson Pvt Ltd in which the items 'are described as per their technical/trade
name and the HSN Code shown' as 90213100.
7. On the basis of the facts disclosed in the application and the written and
oral submissions made at the time of personal hearing, it was decided to admit
the application.
8. The question that arises for consideration. is whether the implants for joint
replacements falling under HSN Code 1 Chapter Sub-Heading 90213100 - Artificial
Joints of the Customs Tariff Act, 1975 is covered under Serial No. E(9) of List
3 of Entry 257 of Schedule I of Notification No. 11/2017 - Central Tax (Rate)
dated 28.06.2017 attracting GST at the rate of 5%or Serial No. 221 of Schedule
II of the Notification No. 11/2017 - Central Tax (Rate) dated 28.06.2017
attracting GST at the rate of 12%.
9.. On a plain reading of entry at Serial No. E(9) of List 3 of Entry 257 of
Schedule I and entry at Serial No. 221 of Schedule II of Notification No. 1/2017
- Central Tax (Rate) dt. 28-06-2017, it is evident that joint replacements are
specifically covered under the entry at Serial No. E(9) of List 3 of Entry 257
of Schedule I whereas the entry at Sl. No. 221 of Schedule II is a general entry
that covers artificial parts of body. Therefore, applying the principle under
Rule 3 of the General Rules of Interpretation of the First Schedule to the
Customs Tariff Act, 1975; that the heading which provides the most specific
description shall be preferred to headings providing a more general description
we hold that the joint replacements falling under HSN Code 90213100 are covered
under Serial No. E(9) of List 3 of Entry 257 of Schedule I of Notification No.
11/2017 - Central Tax (Rate) dated 28.06.2017 attracting GSTat the rate of 5%.
RULING
The implants for joint replacements falling under HSN Code 90213100 are covered under Serial No. E(9) of List 3 of Entry 257 of Schedule I of Notification No. 11/2017 - Central Tax (Rate) dated 28.06.2017 attracting GST at the rate of 5%.
Senthil Nathan S, IRS
Member, CGST
N. Thulaseedharan Pillai.
Member, CGST
To
Shri. Gopal Gireesh,
Veena Chemicals,
T.C.No.30/1424/15, Pallimukku
Puthen Kovil Complex,
Pettah, Thiruvananthapuram - 695024.
Equivalent .