2019(09)LCX0210(AAR)
AAR-KARNATAKA
M/s Intek Tapes Private Limited
decided on 17/09/2019
THE AUTHORITY ON ADVANCE
RULINGS
IN KARNATAKA
GOODS AND SERVICES TAX
VANIJYA THERIGE KARYALAYA, KALIDASA ROAD
GANDHINAGAR, BENGALURU - 560009
Advance Ruling No. KAR ADRG 44/2019
Date : 17-09-2019
Present:
1. Sri. Harish Dhamia,
Additional Commissioner of Central Tax, .... Member (Central Tax)
2. Dr. Ravi Prasad M.P.
Joint Commissioner of Commercial Taxes .... Member (State Tax)
1. | Name and address of the applicant | M/s. Intek Tapes Private Limited, No. 38, Road No.5, Bommasandra Industrial Area, Bengaluru - 560 099. |
2. | GSTIN or User ID | 29AAACI5571P1ZX |
3. | Date of filing of Form GST ARA-01 | 28-05-2018 |
4. | Represented by | Sri. Sanjay M Dhariwal, Sri.G.B. Srikanth Acharya, Smt. Annapurna Kabra, Chartered Accountants |
5. | Jurisdictional Authority - Centre | Commissioner of Central Tax, South Commissionerate, Queens Road, Bengaluru |
6. | Jurisdictional Authority - State | LGSTO-25A, Koramangala, Bengaluru |
7. | Whether the payment of fees discharged and if yes, the amount and CIN | Yes, discharged Rs. 10,000/- CGST: Rs.5,000/- and KGST: Rs.5,000/- vide CIN: SBIN18052900306121, Dt. 25- 05-2018 |
ORDER UNDER SECTION 98(4) OF
THE CENTRAL GOODS & SERVICES
TAX ACT, 2017 AND UNDER 98(4) OF THE KARNATAKA GOODS &
SERVICES TAX ACT, 2017
M/s. Intek tapes private limited
(hereing after referred to as applicant), No.38, Road No.5, Bommasandra
Industrial Area, Bengaluru-560099 having GSTIN 29AAACI5571P1ZX filed an
application for advance ruling on 28-05-2018 under Section 97 of CGST Act, 2017,
KGST Act, 2017 & IGST Act, 2017 read with rule 104 of CGST Rules 2017 & Rule 104
of KGST Rules 2017, in FORM GST ARA-01. The applicant has also enclosed a copy
of challan for Rs.10,000/- bearing CIN number SBIN18052900306121, Dt. 25-05-2018
for having made the payment.
2. The applicant is involved in the manufacture and supply of a wide range of
pressure sensitive adhesive tapes. They import Polyimide Film manufactured by
Dupont, USA, under the brand name KAPTON and coat Silicone Adhesive over the
same. The final product is known as Kapton Polyimide Adhesive Tape which is
used in various industries and also by the Indian Railways.
3. This pressure sensitive polyimide (KAPTON) film tape is used as an insulator
in Armature Coil Winding. The Armature Coil is used in Traction Motor, which is
an electric motor used in the propulsion of vehicle such as electric locomotive
or electric roadway vehicle. Traction motors are used in electrically powered
rail vehicles such as electric multiple units and others electric vehicles such
as electric milk floats, elevators, conveyors and trolley buses as well as
vehicles with electrical transmission systems such as diesel electric hybrid
vehicles and battery electric vehicles.
4. The applicant is classifying this pressure sensitive polyimide (KAPTON) film
adhesive insulation tape under the heading 8546-Electrical Insulators of any
material which attracts GST @ 18%. The applicant is engaged in supplying the
pressure sensitive polyimide (KAPTON) film adhesive insulation tape to the
Indian Railways to use as an insulators in its locomotives. There exists heading
8607 - Parts of Railway or tramway locomotives or rolling stock; such as Bogies,
bissel- bogies, axles and wheels, and parts thereof which attracts GST @ 5%. The
applicant contends that as their products are used in railway locomotives, they
should be considered as parts and their goods merit classification under Heading
8607.
5. In view of the above the applicant seeks clarification regarding the
Applicable rate of tax on supply of Kapton Polyimide Film Adhesive Tape to
Indian Railways for use in its railway locomotives.
PERSONEL HEARING / PROCEEDINGS HELD ON 28/06/2018
6. The authorized representative Smt. Annapurna Kabra, Chartered Accountant,
appeared for personal hearing proceedings and submitted written arguments inter
alia stating as under:
6.1 The applicant is involved in the manufacture and supply of a wide range of
pressure sensitive adhesive tapes. They import Polyimide Film manufactured by
Dupont, USA, under the brand name KAPTON and coats Silicone Adhesive over the
same. The final product is known as Kapton Polyimide Adhesive Tape which is
used in various industries and also by the Indian Railways.
6.2 The applicant is classifying the pressure sensitive polyimide (KAPTON) film
adhesive insulation tape under the heading 8546-Electrical Insulators of any
material which attracts GST @ 18% as per the earlier Supreme Court judgement
which classified polyester and film insulation tapes under chapter 8546.
However, there exists heading 8607 - Parts of Railway or tramway locomotives or
rolling stock; which specifically encompass various parts used in the railway
locomotives.
6.3 The applicant submitted that adhesive tape is used by the railways as an
insulator, in its locomotives. Therefore, it can be construed that such
insulator forms part of the railway locomotives. Further, the applicant narrated
that as per Rule 3(a) of the General Rules of Interpretation under Customs
Tariff Act, 1975, where two or more Headings seem to apply, the one which
provides the most specific description of the product in question should be
used. This means that a Heading which names the actual product should be used in
preference to one which only names a category to which the product could belong.
In the given scenario, i.e. supply of adhesive tape to railways, the adhesive
tapes are further utilized by the railways as a part of the railway locomotives.
Hence, applying the above mentioned rule, Heading 8607, being specific shall
apply over and above the general heading 8546, specified for electrical
insulators.
6.4 The applicant interprets that the rate applicable to such adhesive tapes,
which is used as a part of the railway locomotives, shall be covered under
heading 8607, and shall attract GST @ 5%. Therefore, the applicant pleads before
the authority to clarify the rate of tax applicable to the product Kapton
Polymide Adhesive Tape when supplied to Railways as part of Locomotives.
7. The applicant states that Kapton Polyimide Film such as Kapton tapes,
consists of a polyimide film and adhesive system having the property of an
insulator that make it the ultimate in high temperature tapes. Polyimide tape
has the ability to maintain its excellent physical, mechanical, and electrical
properties over a wide temperature range and performs as well as any product at
high temperatures. Polyimide tapes have excellent dielectric strength and remove
cleanly leaving no residue. Because of these properties, Polyimide tape such as
Kapton tape, is used in various applications in electronic, automotive and
general manufacturing industries as an insulators. Polyimide tape is also used
in the auto industry for wrapping switches, diaphragms, sensors and coils in
seat heaters. The aerospace industry uses Polyimide tape primarily for
insulation of aircraft and spacecraft wings.
8. This pressure sensitive polyimide (KAPTON) film tape is used as an insulator
in Armature Coil Winding. Armature Coil is used in Traction Motor. This traction
Motor is an electric motor used in the propulsion of vehicle such as electric
locomotive or electric roadway vehicle. Traction motors are used in electrically
powered rail vehicles such as electric multiple units and others electric
vehicles such as electric milk floats, elevators, conveyors and trolley buses as
well as vehicles with electrical transmission systems such as diesel electric
hybrid vehicles and battery electric vehicles.
9. Therefore, pressure sensitive polyimide (KAPTON) film adhesive insulation
tape which have electrical insulating property can appropriately be described as
insulators and also these goods commercially known as insulation tapes. It is
used in various other industries as an insulator likewise it is used in
railways. It is not relevant on part of the applicant to consider the pressure
sensitive polyimide (KAPTON) film adhesive insulation tape as the part of the
railway as it is also used in varies other auto industries as insulators.
10. The applicant states that Industrial laminated sheets having insulating
properties have been ordered to be classifiable under heading 8546.00 by the
Supreme Court in CCE vs. Bakelite Hylam Ltd. 1997 (14) RLT 204. Classification
of electrical insulation tape was specifically considered by the Tribunal in
Chetna Polycoats (P) Ltd. v. CCE. Classification under the Customs Tariff of
such goods was considered in CCE v. Kinjal Electricals Pvt. Ltd.. Both decisions
have held that the goods to be classifiable under heading 8546.00. Heading
8546.00 is more specific and more appropriate to the goods in question.
FINDINGS AND DISCUSSION
11. We have considered the submissions made by the Applicant in their
application for advance ruling as well as the submissions made by Smt. Annapurna
Kabra, Chartered Accountant and authorised representative of the applicant
during the personal hearing. We also considered the issue involved, on which
advance ruling is sought by the applicant, relevant facts and the applicant's
interpretation of law.
12. At the outset, we would like to state that the provisions of both the CGST
Act and the KGST Act are the same except for certain provisions. Therefore,
unless a mention is specifically made to such dissimilar provisions, a reference
to the CGST Act would also mean a reference to the same provisions under the
KGST Act.
13. The applicant is involved in the manufacture of a wide range of pressure
sensitive adhesive tapes. They import Polyimide Film under the brand name
KAPTON and coats Silicone Adhesive over the same. The final product is known
as Kapton Polyimide Adhesive Tape which is supplied to various industries and
also to Indian Railways. It is clear from the above, that the final product is
not only sold to Indian Railways but also sold to other Industries for their
use. Hence it is not a specific product for Indian Railways. The product
catalogue submitted along with the application reads as 'Intek Tapes Private Ltd
is a company that is involved in the manufacture of a wide range of pressure
sensitive adhesive tapes. Products that are designed to suit an array of
specifications in the electrical, electronics, printing, packaging and leather
industry.' This bears testimony that the applicant is engaged in manufacture of
adhesive tapes for a wide range of industrial uses, one of the users being
Railways.
14. The applicant is already classifying this pressure sensitive polyimide (KAPTON)
film adhesive insulation tape under the heading 8546-Electrical Insulators of
any material which attracts GST @ 18%. However, the applicant contends that
there exists another competing entry covering parts to the railway locomotives
in Heading 8607 - Parts of Railway or tramway locomotives or rolling stock; such
as Bogies, bissel-bogies, axles and wheels, and parts thereof which attracts GST
@ 5%. The contention of the applicant is that since the adhesive tape is used by
the railways as an insulator in its locomotives, it has to be construed that
such insulator forms part of the railway locomotives. The argument of the
applicant is that as per Rule 3(a) of the General Rules of Interpretation under
Customs Tariff Act, 1975, where two or more Headings seem to apply, the one
which provides the most specific description of the product in question should
be used. This is examined and found that there is no dispute that the goods in
question are covered under HSN Heading 8546 under the description Electrical
Insulators of any material. The issue is that in case this material is supplied
to Indian Railways for their use, whether the same goods can be classified under HSN 8607.
15. The HSN Heading 8607 is examined and it reads as under: Parts of Railway or
Tramway Locomatives or rolling stock; such as Bogies, bissel-bogies, axles and
wheels and parts thereof. The section Notes of Section XVII dealing in
Vehicles, Aircraft, Vessels and Associated Transport Equipment in Note 2
states as under:
The expressions parts and parts and accessories do not apply to the
following articles, whether or not they are identifiable as for the goods of
this Section:
(a) ..............
(b) ..............
(c)..............
(d)..............
(e)..............
(f) Electrical machinery or equipment (Chapter 85)
(g)..............
(h) ..............
(i) ..............
(i) ..............
(k)..............
(l) ..............
Further, Note 3 states as under:
References in Chapters 86 to 88 to parts or accessories do not apply to
parts or accessories which are not suitable for use solely or principally with
the articles of those Chapters. A part of accessory which answers to a
description in two or more of the headings of those Chapters is to be classified
under that heading which corresponds to the principal use of that part of accessory.
On cursory reading of the above, the goods under Chapter 85 are not covered
under Chapter 86. Even by the admission of the applicant in their catalogue, the
pressure sensitive polymide film adhesive insulation tape find use in a wide
range of industries and are not solely for use by Railways in their locomotives.
Therefore by virtue of Note 3 alone the product is not liable to be classified
under Heading 8607. Further, the pressure sensitive polymide film adhesive
insulation tape is used in the locomotive for insulation and it can also be used
in other industries for insulation. Hence their primary function is as
insulators and hence they are not parts of the locomotives.
16. In view of the foregoing, we pass the following
RULING
Rate of tax on supply of Kapton Polyimide Film Adhesive Tape to Indian Railways for use in its railway locomotives shall be the rate of tax as applicable to goods covered under the heading 8546-Electrical Insulators of any material and therefore the rate is 18%.
Harish Dharnia)
(Member)
(Dr.Ravi Prasad.M.P.)
Member
Place: Bengaluru
Date: 17.09.2019
To,
The Applicant
Copy to :
1) The Principal Chief Commissioner of Central Tax, Bangalore Zone, Karnataka.
2) The Commissioner of Commercial Taxes, Karnataka, Bengaluru.
3) Commissioner of Central Tax, South Commissionerate, Queens Road, Bengaluru
4) The Asst. Commissioner of Commercial Taxes, LGSTO- 25A
5) Office Folder
Equivalent .