2020(04)LCX0022(AAR)
AAR-KARNATAKA
Sri Mukthenahally Shivakumar Channabasavaiah
decided on 23/04/2020
THE AUTHORITY ON ADVANCE
RULINGS
IN KARNATAKA
GOODS AND SERVICES TAX
VANIJYA THERIGE KARYALAYA, KALIDASA ROAD
GANDHINAGAR, BENGALURU - 560009
Advance Ruling No. KAR ADRG 23/2020
Date : 23-04-2020
Present:
1. Dr. Ravi Prasad M.P.
Additional Commissioner of Central Tax, .... Member (Central Tax)
2. Sri. Mashood ur Rehman Farooqui
Joint Commissioner of Commercial Taxes .... Member (State Tax)
Name and address of the applicant | Sri Mukthenahally Shivakumar Channabasavaiah, M / s SRI BASAVESHWARA CORPORATION 117/ 10/ 3, 1st Floor, RMC Link Road, Davanagere, Karnataka-577001 |
GSTIN or User ID | 29AEWPC0067MIZZ |
Date of filing of Form GST ARA-01 | 16-10-2019 |
Represented by | Sri. Shiva Kumar M.C, Proprietor |
Jurisdictional Authority - Centre | RANGE-ANWD7 |
Jurisdictional Authority - State | ACCT, LGSTO-460, Davanagere |
Whether the payment of fees discharged and if yes, the amount and CIN | Yes, discharged fee of Rs. 5,000-00 under CGST Act CIN No. SBIN 19102900353179, dt. 21-10-2019 and Rs 5,000-00 under SGST Act vide CIN No. CNRB180529003066fi8 dt.25-05-2018 |
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 AND SECTION
20 OF THE INTEGRATED GOODS AND SERVICES TAX ACT, 2017
1. Sri Mukthenahally Shivakumar
Channabasavaiah, M/s. Sri basaveshwara corporation, 117/10/3, 1st Floor, RMC
Link Road, Davanagere, Karnataka- 577001, having GSTIN 29AEWPC0067M1ZZ, has
filed an application for Advance Ruling under Section 97 of CGST Act, 2017 read
with Rule 104 of the CGST Rules, 2017 and Section 97 of the KGST Act, 2017 read
with Rule 104 of the KGST Rules 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 firm and is registered under the Goods and
Services Act, 2017. The applicant has sought advance ruling in respect of the
following question:
1. Rate of tax on sale of Poha Bran or Avalakki Bran or Bran of beaten rice
which supplied to cattle feed manufacturing units
3. The applicant company furnishes some facts relevant to the stated activity:
a) The applicant is a registered dealer engaged in manufacturer and trading of
Poha Bran or Bran of beaten rice which is supplied to cattle feed manufacturing
units.
b) Poha Bran or Avalakki Bran is an by-product obtained while manufacturing Poha
or Avalakki and is used as food for consumption, poha bran which is in powder
form with fibre content of 35% and oil content of 2% to 3%, is invariably used
as an ingredient in cattle feed manufacturing units.
PERSONAL HEARING / PROCEEDINGS HELD ON 02.01.2020
4. Sri. Shiva Kumar M.C, Proprietor of the applicant appeared for personal
hearing proceedings held on 02.01.2020 & reiterated the facts narrated in their
application.
4.1 The applicant states that while making poha bran, the paddy is soaked in
water to the extent of twenty four hours and subjected to roasting process
followed by paddy hulling process and afterwards three by products are available
such as Avalakki (Poha) and Mandakki (Puffed rice) and Poha Bran (husk).
5. The composition of the Poha bran contains oil to the extent of 3 to 4 % and
fibre to the extent of 35% used the same is used as ingredient for manufacturing
of cattle feed or poultry feed is being exempted from payment of taxes. The said
product is partly oil bran and partly de-oiled bran presently classifying under
HSN Code 2304 at the rate of 5 percent. Others are of the opinion that the said
goods being exempted from the payment of taxes. Hence the applicant is under
dilemma and wants to know the right classification of the said goods and tax
rate of exempted?
6. FINDINGS & DISCUSSION:
6.1 We have considered the submissions made by the Applicant in their
application for advance ruling as well as the submissions made by Sri. Shiva
Kumar M.C, Proprietor appeared during the personal hearing. We have also
considered the issues involved, on which advance ruling is sought by the
applicant, and relevant facts.
6.2 At the outset, we would like to state that the provisions of both the
Central Goods and Services Tax Act, 2017 and the Karnataka Goods and Services
Tax Act, 2017 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 corresponding similar provisions
under the KGST Act.
6.3 The said poha bran is nothing but rice bran and is by product of Poha or
Avalakki manufacturing process from paddy. Both rice bran and poha bran are
derived from Paddy and the constituents of both are same. They are given
different commercial narnes due to the different process of manufacture which
give rise to them. Both are used as ingredient for manufacturing of cattle feed.
The composition of the poha bran contains oil to the extent of 3 to 4 % and
fibre to the extent of 35%. Hence poha bran is nothing but Rice bran.
6.4 As for as classification of Poha bran is concerned the said goods can be
classified under HSN chapter /heading vide HSN 2302 40 00. The present
classification applied by the applicant for Poha bran under HSN 2304 00 90 is
incorrect as it is applicable to those from soyabean.
6.5 Regarding the taxability, The poha bran, which is same as Rice bran as
discussed above, is covered under entry no. 103B of Schedule-I of Notification
No. 1/2017 - Central Tax (Rate) dated 28.06.2017 as amended by Notification No.
6/2018 - Central Tax (Rate) dated 25.01.2018 and the same is liable to tax at
2.5% from 25.01.2018 under the CGST Act. Similarly the same is also liable to
tax at 2.5% under the KGST Act, 2017 from 25.01.2018.
RULING
The Poha bran is classified under
HSN 2302 40 90 and attracts tax at the rate of 2.5% each under CGST and SGST
Act.
(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, Bengaluru.
3. The Commissioner of Central Tax, Commissionerate
Bengaluru.
4. The Asst. Commissioner, LGSTO-460 Bengaluru
5. Office Folder.
Equivalent .