2018(07)LCX0105(AAR)
AAR-WEST BENGAL
Vesuvius India Ltd
decided on 20/07/2018
WEST BENGAL AUTHORITY FOR ADVANCE RULING
GOODS AND SERVICES TAX
14 Beliaghata Road, Kolkata 700015
Name of the applicant |
Vesuvius India Ltd |
Address |
P 104, Taratola Road, Kolkata - 700088 |
GSTIN | 19AAACV8995Q1Z1 |
Office of the concerned officer |
Joint Commissioner of State Tax, Large Taxpayer Unit, 14 Beliaghata Road, Kolkata - 700015 |
Case Number | 15 of 2018 |
Date of application | 03rd May, 2018 |
Order No. & date | 13/WBAAR/2018-19 dated 20/07/2018 |
Applicant's representative heard | Sri Soumitra Gooptu, Authorized Representative Sri Sohrab Bararia, FCA |
1. The Applicant, stated to be a
supplier of end to end system solutions for controlled casting of iron and steel
which includes supply of refractory components and associated services. The
Applicant now intends to offer a new supply, namely Contract Management System
(hereinafter referred to as CMS), and is seeking a Ruling on whether the
activity proposed to be undertaken as CMS will result in supply of goods or
services within the meaning of that term under the CGST/WBGST Acts, 2017
(hereinafter referred to as the GST Act), and the time of supply when so
determined.
Advance Ruling is admissible on this question under Section 97(2) clauses (c)
and (g) of the CGST/WBGST Acts, 2017.
The Applicant further submits that the questions raised are neither decided by
nor pending for decision before any authority under any provisions of the GST
Act.
The officer concerned raises no objection to admission of the Application.
The Application is, therefore, admitted.
2. The queries raised by the Applicant are related to activities proposed to be
undertaken. The queries are, therefore, examined based entirely on the
description of the activities provided by the Applicant, including a copy of the
intended agreement with the customers, and written submissions provided at the
time of Personal Hearing.
3. The CMS, according to the Applicant, includes but not limited to application,
installation and fixation of various refractories. The Applicant will design the
refractories required, monitor their usage and inventory, and supply the
required refractory components and systems. This apart, the Applicant will
monitor round-the-clock the flow of iron and steel. The CMS will include the
following processes.
a) Total Tundish Management (hereinafter referred to as TTM) - Tundish is a
bathtub like material where hot steel is poured and collected. It then flows
into the mould and takes the desired shape. Several such tundishes are used on
rotational basis in course of production of steel. They are lined with
refractory for providing protection to the vessels. Refractory components and
systems are also fitted to the tundishes for monitoring the process. They help
controlling the flow of the liquid steel into the moulds. These refractories
need to be replaced frequently. The systems also need timely and regular
maintenance. The TTM proposes to provide continuous monitoring of the process
for taking care of all these requirements. Consideration for TTM will be
provided at an agreed rate for every tonnage of steel produced using the
tundishes.
b) Ladle Management System (hereinafter referred to as LMS) - Ladles are
bucket like items used for carrying the hot metal. Like tundishes they also need
to be lined with refractories. Systems installed at the bottom of the ladles
help controlling the flow of the hot metal. The LMS proposes to monitor the
process continuously, replace the refractories and maintain the systems for
smooth transportation of the hot metal in ladles. Consideration for LMS will be
paid at an agreed rate for every tonnage of hot metal transported from one place
to another within the plant and poured into the tundishes
c) Trough Management System (hereinafter referred to as TMS) - The hot iron
produced in the blast furnace flows into the ladles along troughs. These troughs
have limited life and are required to be erected and maintained on regular
basis. Refractories are also to be applied on the walls of the trough so that
they can hold the hot metal. TMS offers activities that include erection and
maintenance of these troughs, including regular application of refractories on
the walls. Consideration for TMS will be paid at an agreed rate for every
tonnage of hot iron produced.
4. The Applicant submits that the scope of work for CMS, specifically TTM and
TMS, involves, inter alia,
Refractory design, supply, application, performance, inventory management, and
disposal post application;
24/7 monitoring of flow of the hot metal, and quality control of the steel
production process.
5. The Applicant is very clear in stating that the procedure undertaken under
the proposed CMS will not involve transfer of title to the refractories used in
course of the production process. Use of the refractories delivered to the
customer, including application and disposal, will continue to be controlled by
the Applicant.
Furthermore, the Applicant will not be paid for the supply of refractories, but
for managing the flow of the hot metal in production of iron and steel at an
agreed rate per tonne of liquid metal manufactured on monthly basis.
6. It is clear from the above description of the activities proposed to be
undertaken that the Applicant supplies service associated with the manufacturing
of metal, value of which is measured at an agreed rate per tonne of hot metal
produced and that the Applicant manufactures refractories, which are used as
inputs as defined under Section 2(59) of the GST Act.
7. Provisioning of the service involves, inter alia, round-the-clock monitoring
of the production process during the entire contract period, and continuous
evaluation of the requirement of refractories, quality control, replacement and
disposal of used refractories etc. Invoices are to be raised on monthly basis at
an agreed rate per tonne of the hot metal manufactured during the period.
8. It is, therefore, continuous supply of service within the meaning of Section
2(33) of the GST Act, provided the service is agreed to be provisioned for a
period exceeding three months.
9. In the present context provisioning of the service is measured on monthly
basis, and the date of payment is within thirty days from end of the month (as
stated in clause 4 of the intended Agreement with the Customers). The tax
invoice shall, therefore, be issued in terms of Section 31(5)(b) on or before
the supplier receives the payment, and the time of supply shall be the date of
issue of invoice in terms of Section 13(2) (a) read with Section 31(2) of the
GST Act and Rule 47 of the GST Rules.
In view of the foregoing we rule as under:
RULING
Activities the Applicant proposes
to undertake are services associated with manufacturing of metal, and may be
termed as continuous supply of service within the meaning of Section 2(33) of
the GST Act, provided the service is agreed to be provisioned for a period
exceeding three months.
The time of supply shall be the date of issue of invoice in terms of Section
13(2) (a), read with Section 31(2) of the GST Act and Rule 47 of the GST Rules.
This Ruling is valid subject to the provisions under Section 103 until and
unless declared void under Section 104(1) of the GST Act.
Sd-
(VISHWANATH)
Member
West Bengal Authority for Advance Ruling
Sd-
(PARTHASARATHI DEY)
Member
West Bengal Authority for Advance Ruling
Equivalent .