2019(06)LCX0089(AAR)
AAR-GUJARAT
Gujarat State Financial Services Ltd
decided on 27/06/2019
OFFICE OF THE GUJARAT AUTHORITY
FOR ADVANCE RULING
COMMISSIONERATE OF GOODS AND SERVICES TAX
GUJARAT STATE
D/5, RAJYA KAR BHAVAN, ASHRAM ROAD,
AHMEDABAD 380 009.
ADVANCE RULING NO. GUJ/GAAR/R/10/2019
(IN APPLICATION NO. Advance Ruling/SGST&CGST/2019/AR/08)
Date: 27.06.2019
Name and address of the applicant | : |
Gujarat State Financial Services Ltd Wing-B, 3rd Floor, Khanij Bhavan, 132 Feet Ring Road, Vastrapur, Ahmedabad-380052 |
GSTIN of the applicant | : | 24AAACG5581B1Z0 |
Date of application | : | 31.01.2018 |
Clause(s) of Section 97(2) of CGST / GGST Act, 2017, under which the question(s) raised. |
: | (e) Determination of the liability to pay tax on any goods or services or both. |
Date of Personal Hearing | : | 25.4.2019 |
Present for the applicant | : | Shri N.B.Shah(CFO-GSFS) |
1. The Applicant M/s. Gujarat State Financial Services ltd (GSFS) is a wholly owned subsidiary of Government of Gujarat has 100% holding and is registered with RBI as a Non-Banking Finance Company. It has been given the mandate by the State Government to manage the surplus funds of various state owned entities. The State Government has directed all the State Government owned entities to park all their surplus funds with GSFS i.e applicant. The funds received by GSFS from the Government entities are provided to the other Gujarat State owned entities as loans, which are in need of funds. The idea of formation of GSFS is to manage in-house funds of state owned entities. This results into the circulation of funds of Government entities within the ambit of State Government and its entities.
2. The applicant has requested for advance ruling in the given matter.
1. The Applicant is providing
financial assistance in the form of loan to various Government of Gujarat
entities, whether all such Gujarat Stated owned entities and GSFS become related
persons in GST?
2. The Applicant is not charging any processing fees/ any other charges, for
providing to Government of Gujarat State owned entities, and interest being
charged as full consideration, then whether GST will be chargeable on, notional
processing fees/ notional any other charges, provided by way of loans to Gujarat
state owned entities?
3. The applicant submitted that
as per direction of Gujarat State Government all the State Government owned
entities are required to park all their surplus funds with Gujarat State
Financial Services ltd (i.e GSFS). The funds received by GSFS from the
Government entities are provided to the other state owned entities in the form
of financial assistance, which are in need of funds. GSFS provides financial
Assistance to the Government of Gujarat entities ranging from 90 days to 3-5
years. The loans provides by GSFS are kept hassle free in nature without any
incremental cost over and above the interest rate. Therefore, since beginning
GSFS does not charge any kind of financial charges/processing fees for providing
financial assistance in the form of loans to Government entities other than
interest.
In terms of section 15(5)(a)(iv) of CGST Act 2017,persons shall be deemed to be
related person if any person directly or indirectly owns, controls or holds
twenty- five percent or more of the outstanding voting stock or shares of both
of them. As per this definition GSFS and other Gujarat State Government
entities are related person as Gujarat State Government is holding more than 25
% of outstanding voting stock or shares of both of them.
3.1 The applicant has submitted
that as per sr no 27 of Notification No. 12/2017-Central Tax (Rate) under CGST
Act 2017 and corresponding State notification No. 12/2017- State Tax (Rate)
under GGST Act 2017 services by way of extending deposits loan or advances in so
far the consideration is represented by way of interest or discount (other than
interest involved in credit card services) is exempted.
As per FAQs issued on financial services, the services of loan, advances or
deposits are exempt in so far as the consideration is represented by way of
interest or discount. Any charges or amounts collected over and above the
interest or discount would represent taxable consideration and hence liable to
GST. In case of GSFS, no charges other than interest are collected from client.
3.2 The applicant submitted that they are receiving interest as consideration from various Government of Gujarat entities to whom financial assistance is provided. As a policy of the company, it is not charging any processing fees or any other charges for providing financial assistance to any clients i.e. from any Government entities.
3.3 They further submitted that there is no specific RBI guideline that a Bank or Non- Banking Financial Institution has to compulsorily charge processing fees to clients on financial assistance provided. In todays competitive/aggressive financial and capital market, there may be a practice in the financial business market or there may be aggressive marketing strategy not to charge processing charges on corporates for financial assistance. They submitted that they are charging only interest which is not subject to GST. The submitted that in case of applicant, the company is not charging any processing fees to any client for any financial assistance. They also mentioned that there is not any specific guideline by RBI to NBFC to compulsorily charge processing fees. GSFS is getting consideration from various entities to whom financial assistance have been provided in the form of interest. Hence in the said transaction consideration is received by way of interest only which is exempt under GST. The applicant concluded by mentioning that considering facts of the case, relevant provisions of the law and above analysis, according to applicant since he is not charging processing fees or any other charges to any client and interest being charged as a full consideration against financial assistance given by GSFS, GST shall not be chargeable on notional processing fees or any other notional charges on services of loans provided by him to its client.
4. The notification No. 12/2017-CT (Rate) dated 28/6/2018 provided as under:
(1) | (2) |
(3) |
(4) | (5) |
27 | Heading 9971 |
Services by way of- |
Nil | Nil |
4.1 We have considered the
submissions made by the applicant in their application for advance ruling.
4.2 We find that the applicant makes the supply of loan and for which
consideration is only interest. As stated by the applicant there is no other
consideration so even if the service is provided to related party the applicant
will be eligible for exemption under sub entry (a) of entry 27 of Notification
No. 12/2017-Central Tax (Rate) under CGST Act 2017 and corresponding State
notification No. 12/2017- State Tax (Rate) under GGST Act 2017. The said
notification neither talks about related unrelated party nor about notional
consideration. Therefore the question of charging GST on notional consideration
does not arise in this case. If they actually charge processing fee or any other
charges, other than interest, then applicant will be liable for GST.
5. In view of the foregoing, we rule as under
R U L I N G
Question 1 The Applicant is
providing financial assistance in the form of loan to various Government of
Gujarat entities, whether all such Gujarat Stated owned entities and GSFS become
related persons in GST?
Answer: The relationship between Gujarat State Financial Services Ltd. and
Government or Government entities is that of related person as defined under
Section 15 of Central Goods and Services Tax Act 2017 and Gujarat Goods and
Services Tax Act 2017.
Question 2 The Applicant is not
charging any processing fees/ any other charges, for providing to Government of
Gujarat State owned entities, and interest being charged as full consideration,
then whether GST will be chargeable on, notional processing fees/ notional any
other charges, provided by way of loans to Gujarat state owned entities?
Answer : Looking to the facts of the case, as there is no other consideration
except interest, the Services by way of extending deposits, loans or advances
provided by M/s. Gujarat State Financial Services ltd (GSTIN 24AAACG5581B1Z0) is
covered under sub entry (a) of entry 27 of Notification No. 12/2017-Central Tax
(Rate) under CGST Act 2017 and corresponding State notification No. 12/2017-
State Tax (Rate) under GGST Act 2017.
(R.B. Mankodi)
Member
(G.C. Jain)
Member
Place: Ahmedabad
Date: 27.06.2019
Equivalent .