2020(04)LCX0011(AAR)
AAR-KARNATAKA
M/s IDEAL INDUSTRIAL SYENRGY SOLUTION PRIVATE LIMITED
Versus
-
- decided on 23/04/2020
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 26/2020
Dated : 23.04 2020
Present:
1. Dr. M.P. Ravi Prasad Addl. Commissioner of Central Tax, Bangalore West Commissionerate, Bengaluru. . . . . Member (State Tax)
2. Sri Mashood Ur Rehman Farooqui Joint Commissioner of Commercial Taxes . . . .
Member (Central Tax)
1. | Name and address of the applicant |
M/s IDEAL INDUSTRIAL
SYENRGY SOLUTION PRIVATE LIMITED |
2. | GSTIN or User ID | 29AAEC11202K1ZR |
3. | Date of filing of Form GST ARA-01 | 30-10-2019 |
4. | Represented by |
Sri. Shanthiny Mathan, Accounts Executive and DAR |
5. | Jurisdictional Authority – Centre |
RANGE-BNWD3 |
6. | Jurisdictional Authority – State | LGSTO-65A Bengaluru |
7. | Whether the payment of fees discharged and if yes, the amount and CIN |
1. Rs. 5,000-00 under
CGST Act vide CIN SBIN19122900050630 dated 06.12.2019 |
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. Ideal Industrial Synergy
Solutions Private Limited (hereinafter called the ‘Applicant’), having GSTIN
number 29AAEC11202K1ZR, 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 following question:
a) Whether selling of religious books attracts GST?
a. If taxable, what would be the rate of GST and HSN Code?
b. If exempted, the category of exempted goods and HSN Code?
3. The applicant furnishes some facts relevant to the stated activity:
a. The applicant states that he is in the business of carrying out
manufacturing, designing, printing all types of confectionaries, brochures,
stickers, aseptic bags, Tin containers, leaflets, posters, calendars,
catalogues, danglers, profiles. He is also involved in the manufacturing,
designing, printing of all types of labels, hang-tags and pocket flashers,
textile accessories like leather patches, Jeans button, Riyet, Eyelet, Snap
fasteners, Buckle, Sew on Buttons, metal, snap buttons, plastic hangers, seal
tages, key-chains, patches and puppets.
b. The applicant states that he is involved in the printing and selling of
religious books for various Islamic educational institutions across India and is
desirous to know the applicability of tax on the transactions.
3. Sri Shantiny Mathan, Accounts Executive of the above concern appeared made
the following submissions:
a. That they are involved in the printing and supply of goods where the content
is provided by the religious heads and they are printing the books and selling
the same to the Madarasas. The books are not soldto the content providers but
are sold to the religious schools as per the orders received from such schools.
b. The billing is also done to the Madarasas and the books are also supplied to
the Madarasas. The Madarasas are not involved in the supply of content and this
is received from the religious heads.
4. FINDINGS & DISCUSSION:
4.1 The submissions of the applicant is verified and found that the supply is
made by the applicant to the Madarasas for a consideration and the contract is
for the supply of books for consideration. This being in the course of business
would amount to a supply of books as per sub-section (1) of section 7 of the
Central Goods and Services Tax Act, 2017. There is no direct link between the
recipient of books and the supplier of the content and the final product is
supplied to the recipient of books and the content provider has no role to play
in the selection of the recipient or the sale. Hence it is sale simpliciter of
books.
4.2. Regarding the HSN Code and the rate of tax applicable on such supply of
books, it is seen that the printed books are covered under the HSN Code 4901 10
10 and are covered under entry no. 119 of Notification No.2/2017- Central Tax (Rate)dated
28.06.2017 and hence are exempt from tax under the CGST Act, 2017. Further they
are covered under entry no. 119 of Notification (02/2017) No. FD 48 CSL 2017
dated 29.06.2017 and hence exempted from the Karnataka Goods and Services Tax
Act, 2017. The inter-State supply of printed books are exempt under the IGST
Act, 2017 as they are covered under entry no. 119 of Notification No.2/2017
-Integrated Tax (Rate) dated 28.06.2017.
5. In view of the foregoing, we rule as follows
RULING
1. The supply of books by the
applicant to the religious schools are supply of printed books which is covered
under HSN Code 4901 and is exempt from tax as they are covered under following
entries
a. Under the CGST Act, entry no. 119 of Notification No.2/2017-Central Tax (Rate)dated
28.06.2017
b. Under the Karnataka Goods and Services Tax Act, entry no. 119 of Notification
(02/2017) No. FD 48 CSL 2017 dated 29.06.2017
c. Under the IGST Act, entry no. 119 of Notification No.2/2017-Integrated Tax
(Rate) dated 28.06.2017
(Dr. M.P. Ravi Prasad)
Member
(Mashhood Ur Rehman Farooqui)
Member
Place: Bengaluru
Date: 23-04-2020
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, North West GST Commissionerate,
Bengaluru.
4. The Asst. Commissioner, LGSTO-65A, Bengaluru.
5. Office Folder.
Equivalent .