2019(09)LCX0246(AAR)
AAR-KARNATAKA
M/s Sagas Autotec Pvt. Ltd.
decided on 26/09/2019
THE AUTHORITY ON ADVANCE
RULINGS
IN KARNATAKA
GOODS AND SERVICE TAX
VANIJYA THERIGE KARYALAYA, KALIDASA ROAD
GANDHINAGAR, BENGALURU “ 560 009
Advance Ruling No. KAR ADRG 90/2019
Dated : 26-9-2019
Present:
1. Sri. Harish Dharnia, Additional Commissioner of Central Tax ... Member
(Central Tax)
2. Dr. Ravi Prasad M.P. Joint Commissioner of Commercial Taxes ....
Member (State Tax)
Name and address of the applicant |
M/s Sagas Autotec Pvt. Ltd., No.230, Sharada Complex, 1st Main, Gokulam 2nd Stage, Mysuru - 570 002 |
GSTIN or User ID | 29AAFCS4855BIZA |
Date of filing of Form GST ARA-01 | 12.03.2019 |
Represented by |
Sri Sandeep Shamanur, Managing Director |
Jurisdictional Authority “ Centre |
The Commissioner of Central Tax, Centre Mysore Commissionerate, Mysuru. |
Jurisdictional Authority “ State | LGSTO- 200, Mysuru. |
Whether the payment of fees discharged and if yes, the amount and CIN |
Yes, discharged fee of Rs.5,000/- under CGST Whether the payment of Act 2017 vide CIN SBIN 19032900077850 dated fees discharged and if yes, 13.03.2019 & Rs.5,000/= under KGST Act 2017 the amount and CIN vide CIN SBIN18112900317546 dated 23.11.2018 |
ORDER UNDER SUB-SECTION (4) OF
SECTION 98 OF CENTRAL GOODS
AND SERVICE TAX ACT, 2017 AND UNDER SUB-SECTION (4) OF SECTION
98 OF KARNATAKA GOODS AND SERVICES TAX ACT, 2017
1. M/s Sagas Auto Tec Pvt. Ltd.,
(called as the Applicant hereinafter), having GSTIN number 29AAFCS4855B1ZA,
has filed an application for Advance Ruling under Section 97 of the CGST Act,
2017 and Section 97 of the KGST Act, 2017, in FORM GST ARA-01 discharging the
fee of Rs.5,000-00 each under the CGST Act and the KGST Act.
2. The Applicant is a Private Limited Company and is registered under the Goods
and Services Act, 2017. The applicant has sought advance ruling in respect of
the classification of LPG Conversion Kit for Automobiles.
3. The applicant furnishes some facts relevant to the stated activity:
a. The applicant states that they are into the business of supplying LPG
Conversion Kits which can be fitted to the Petrol and Diesel Vehicles to convert
them to run with LPG.
b. The applicant states that Conversion Kit involves all the components for a
Petrol run vehicle to run on LPG or CNG as the case may be, such as Cylinder,
Valves, Pressure Regulators, Hose, Flow Control Systems, Level Indication,
Bi-fuel operation change over system, nuts, bolts, fabrication items, etc.
c. The applicant manufactures LPG and CNG conversion kits, which will be
retrofitted on to the in-use vehicles and as per Rule 26 of the Central Motor
Vehicles Rules, these products are to be approved by any one of the testing
agency.
d. The applicant states that it is mandatory to fit the complete set of parts on
to the vehicle before its use with CNG or LPG.
e. The applicant states that there is no separate HSN code for CNG / LPG
conversion kits. The CNG / LPG conversion kits cannot be without cylinder and
LPG / CNG cylinder is of no use without other parts of the conversion kits. The
HSN Code for CNG Cylinder is 73 11 00 30 and the HS Code for LPG Cylinder is
7311 00 10.
f. The applicant states that since there is no HS Code for LPG and CNG Cylinder,
LPG / CNG Conversion kit is part of LPG/CNG cylinder can be used for billing LPG
/ CNG conversion kits.
PERSONAL HEARING: / PROCEEDINGS HELD ON 27.03.2019
4. Sri. Sandeep S P, Managing Director of the applicant company appeared for
personal hearing proceedings held on 27.03.2019 and reiterated the facts
narrated in their application.
5. FINDINGS & DISCUSSION
5.1 We have considered the submissions made by the applicant in their
application for advance ruling as well as the submissions made by Sri. Sandeep S
P, Managing Director of the applicant company during personal hearing. We also
considered the issue involved, on which advance ruling is sought by the
applicant, relevant facts & the applicants interpretation of law.
5.2 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.
5.3 The applicant seeks advance ruling on the classification of their product
LPG Conversion Kit for Automobiles¯. The applicant is supplying the auto gas
conversion kits which enables the petrol or diesel vehicles to run on Gas i.e.
LPG or CNG. The Conversion Kit¯ consists all the components for a Petrol run
vehicle to run on LPG or CNG as the case may be, such as Cylinder, Valves,
Pressure Regulators, Hose, Flow Control Systems, Level Indication, Bi-fuel
operation change over system, nuts, bolts, fabrication items, etc. The applicant
submitted that all the parts from cylinder to gas air mixer put together is
called as LPG/CNG Conversion Kit. Now we proceed to examine the classification
of the said product.
5.4 The applicant submitted that their product LPG/CNG conversion kit has not
been classified separately under any specific tariff heading and hence they
classify the said product on consideration of the same as LPG/CNG cylinder, for
the reason that cylinder is part of the said conversion kit and also as the
cylinder &. kit are mutually dependent. They are classifying LPG cylinder under
tariff heading 7311 0010 and CNG cylinder under heading 7311 0030. In this
context the applicant sought for the advance ruling for classification of the
said kit.
5.5 The LPG/CNG conversion kit is an apparatus / part that provides alternate
fuel into the internal combustion engines of and hence can be considered as
parts of said internal combustion engines, which are parts of motor vehicles.
Tariff heading 8407 covers spark-ignition reciprocating or rotary internal
combustion piston engines; tariff heading 8408 covers compression-ignition
internal combustion piston engines (diesel or semi-diesel engines) and tariff
heading 8409 covers parts suitable for use solely or principally with the
engines of heading 8407 or 8408. In the instant case the product conversion kit
is specific to a particular engine i.e. auto rickshaw (three wheeler). Therefore
it could be considered that the impugned kit is a part suitable for use solely
or principally with engines of auto rickshaw, which falls under tariff heading
8407 or 8408.
5.6 The Tariff Heading 8409 of the Chapter 84 of the Customs Tariff Act 1975
reads as under:
8409 | Parts suitable for use solely or principally with the engines of heading 8407 or 8408 |
8409 10 00 | - For aircraft engines |
- Other : | |
8409 91 | -- Suitable for use solely or principally with spark ignition internal combustion piston engines: |
Valves, inlet and exhaust, piston, piston rings, piston assemblies | |
8409 91 20 | --- Fuel injection equipment excluding injection pumps |
--- Other | |
8409 99 | -- Other |
--- Valves, inlet and exhaust, piston, piston rings, piston assemblies | |
8409 99 20 | --- Fuel nozzles |
8409 99 30 | --- Fuel injection equipment excluding injection pumps |
--- Other parts of diesel engine | |
8409 99 41 | --- Of diesel engines for motor vehicles |
8409 99 42 | ---- Of outboard engine |
8409 99 49 | ---- Other |
8409 99 90 | --- Other |
Further the Honble CESTAT,
Chennai in the case of Transenergy Ltd., Vs. Commissioner [2009 (233) ELT 218
Tri] has held that the CNG Conversion Kits providing alternate fuel charging
system to internal combustion engines are engine parts and though internal
combustion engine are parts of motor vehicles of heading 8708 of the Central
Excise Tariff, Heading 8409 ibid is being more specific, the kits are
classifiable under heading 8409.
5.7 In light of the above, the LPG Conversion Kits are classifiable under HSN
8409 99 90 and the same are covered under serial no.116 of Schedule IV to the
Notification No.01/2017 - Central Tax (Rate) dated 28.06.2017 and hence liable
to tax at 14% under the CGST Act. 2017. Similarly the said kits are liable to
tax at 14% under the KGST Act 2017 under entry no. 116 of Schedule IV of
Notification (01/2017) No. FD 48 CSL 2017 dated 29.06.2017.
6. In view of the foregoing, we pass the following.
RULING
The LPG Conversion Kits are classifiable under HSN 8409 99 90 and the same are covered under serial no.116 of Schedule IV to the Notification No.01/2017 -Central Tax (Rate) dated 28.06.2017 and hence liable to lax at 14% under the CGST Act, 2017. Similarly the same are liable to tax at 14% under the Karnataka Goods and Services Tax Act, 2017 in entry no. 116 of Schedule IV of Notification (01/2017) No. FD 48 CSL 2017 dated 29.06.2017.
(Dr. Harish Dharnia)
Member
(Dr. M.P. Ravi Prasad)
Member
Place: Bengaluru
Date: 26-09-2019
To,
The Applicant
Copy to:
1. The Principal Chief Commercial
of Central Tax Bengaluru Zone, Karnataka.
2. The Commissioner of Commercial Taxes, Karnataka, Bengalurur.
3. The Commissioner of Central Tax, Mysore Commissionerate, Mysuru.
4. The Asst. Commissioner, LGSTO-200, Mysuru.
5. Office Folder.
Equivalent .