2018(10)LCX0111(AAR)
AAR-KERALA
M/S Modern food enterprises pvt. ltd.
decided on 12/10/2018
KERALAAUTHORITY FOR ADVANCE
RULING
GOODS AND SERVICES TAX DEPARTMENT
TAX TOWER, THIRUVANANTHAPURAM
BEFORE THE AUTHORITY OF: B.G.
KRISHNAN AND
B.S. THYAGARAJABABU, MEMBER
Legal Name of the applicant | M/S. Modern food enterprises pvt. ltd. |
GSTIN | |
Address | |
Advance Ruling sought for | |
Date of Personal Hearing | |
Authorized Representative | Adv. Lalitendra Gulani |
ADVANCE RULING No. KER/23/2018 Dt, 12.10.2018
Applicant is a manufacturer of
Classic Malabar Parota & Whole Wheat Malabar Parota. The major ingredients
are wheat atta, Edible vegetable oil, Milk solids, Sugar, Salt, Yeast etc.
According to them, these products qualify as bread classifiable under Heading
1905 and eligible for GST exemption. Hence the applicant requested advance
ruling on the following:
i) Classification of Classic Malabar Parota and Whole Wheat Malabar Parota.
ii) Eligibility Of exemption from GST vide Notification No. 2/2017 - Central
Tax/ SRO No.361/2017.
The authorized representative was heard. It is stated that Parotta is a food
product made with maida (fine wheat flour). This literally means layers of
cooked dough. Concise Oxford English Dictionary define paratha as a flat, thick
piece of unleavened bread fried on a griddle. Since it is an unleavened flat
bread prepared by frying, parota is a flatbread. Parotta is a wheat flour based,
circular, layered and creamy white traditional bread. Bread is a product
prepared by cooking of dough made from flour of any grain, water and salt. The
explanatory note to Heading 1905 gives a very wide description of the term
bread and provides an illustrative list of various kinds of bread included
within the scope.
The process of preparation of parotta involved mixing and kneading the dough.
The dough prepared is covered with a wet cloth for resting the dough for
fermentation. Then dough is divided into small balls and sheeting the small
dough and baking the sheeted dough. Half cooked goods cooled to room temperature
and packed.
The goods prepared from wheat flour, Edible vegetable oil, Milk solids, Sugar,
Salt are in the nature of Parotta. Classic Malabar Parota is unleavened, Whole Wheat Malabar Parota is leavened with yeast. The impugned goods being in
the nature of parotta qualify as flatbread, sold in packed form. In Kayani &
Company v. CST [AIR 1953 Hyd 252] Karnataka High Court observed that, term
bread includes all forms of bread which are prepared by moistening, kneading,
baking, frying or roasting meal or flour, with or without addition of yeast.
Therefore parotta is a variant of bread squarely covered under entry 97 of
Notification No.2/2017 - Central Tax/SRO. No.361/2017. Moreover the FSSAI
certification classified these items as bread. It is also stated that bread is a
general entry which forms d genus, comprising of various species within its
ambit. Therefore parotta is a species of bread and the same is eligible for
exemption.
The authority examined the case meticulously. Bread is a staple food prepared by
cooking dough of flour, water and yeast. Whereas parotta is prepared by using
ghee or oil. The dough is rolled out and brushed with ghee or oil then folded
again, brushed with more ghee and folded again. This is then rolled out to a
circle and cooked on a buttered griddle. The heat makes the layers of dough puff
up slightly, resulting in a more flaky texture.
As per entry 97 of Notification No.2/2017 - Central Tax / SRO. No.361/2017, only
specific commodity Bread branded or otherwise covered under HSN 1905 is
eligible for exemption. When we apply "commercial parlance test" and in fact ask
someone to bring the bread from the market, he will never bring parotta. There
is an open market of the commodity where the commodity is commonly traded and
the common man who knows the goods according to the meaning given to them in
normal usage. As there is substantial distinction between bread and parotta, in
preparation, use, taste, digestion, even though both of them are used as food.
Therefore the exemption given to the pecific commodity under GST tariff Bread
branded or otherwise is eo nomine exclusively covered under HSN 1905. It has no
wider scope to incorporate different food stuff prepared using wheat flour.
As per Schedule III of GST Laws, vide Heading 2106 Food preparations not
elsewhere specified or included is taxable @18% GST. There is specific
exclusions from this heading, for Khakhra, Plain Chapatti or Roti, Idli / Dosa
batter, and included under 5% category. Even though Chapati is unleavened
flatbread prepared from whole wheat flour or maida, it is specifically included
under heading 2106 and reduced the tax rate from 18% to 5%.Therefore the word
Food Preparations connotes preparations for use, either directly or after
processing such as cooking for human consumption. Therefore all food
preparations which are not specifically mentioned in any other entry squarely
comes under Heading 2106. The plain language used in the heading does not need
an interpreter, absolute sententia expositore non indiget.
The case pointed out by the petitioner ie, In Kayani & Company v. CST [AIR 1953
Hyd 252] Karnataka High Court the appellant requested to direct the sales tax
commissioner not to collect tax on double roti, parata and shirmal and while
giving verdict Honble Court excluded Parata and gave exemption from tax only
to double roti and shirmal only. There is no doubt that parata comes under the
category of Food preparations not elsewhere specified or included.
In view of the observations stated above, the following rulings are issued:
i) Classic Malabar Parota and Whole Wheat Malabar Parota classified under
Schedule III of GST Laws, vide Heading 2106 Food preparations not elsewhere
specified or included and is taxable @18% GST..
ii) Eligibility of exemption from GST vide Notification No.2/2017 - Central Tax/
SRO No.361/2017 is applicable only for specific commodity Bread branded or
otherwise covered under HSN 1905.
B.G. KRISHNAN
IRS Additional Commissioner of Central Tax
Member
B,S. Thyagarajababu, B.Sc, LL.M
Joint Commissioner of State Tax
Member
To
M/S. Modern food enterprises pvt. ltd.
Equivalent .