2020(03)LCX0092(AAR)
AAR-GUJARAT
M/s Mount Fab Packaging LLP
decided on 11/03/2020
OFFICE OF THE GUJARAT AUTHORITY
FOR ADVANCE RULING
COMMISSIONARTE OF GOODS AND SERVICES TAX,
GUJARAT STATE
A/5, RAJYA KAR BHAVAN, ASHRAM ROAD,
AHMEDABAD 380 009.
ADVANCE RULING NO. GUJ/GAAR/R/01/2020
(IN APPLICATION NO. Advance Ruling/SGST&CGST/2018/AR/27)
Date: 11.03.2020
Name and address of the applicant |
M/s. Mount Fab Packaging LLP. Plot No. 23, Subh Laxmi Industrial Estate, Nr. Ramdev Masala, Changodar, Ahmedabad. |
GSTIN of the applicant | 24ABEFM4330J1ZG |
Date of application | 08.05.2018 |
Clause(s) of Section 97(2) of CGST / GGST Act, 2017, under which the question(s) raised. |
(5) Determination of the liability to pay tax on any goods or services or both. |
Fees payment details | CIN : ORBC18062400078413 (CGST) CIN : ORBC18052400054716 (SGST 5000/-+5000/- |
Date of Personal Hearing | 7.6.2018, 14.6.2018, 05.03.2020 |
Present for the applicant | K.J.Gandhi. |
BRIEF FACTS:
The applicant is an LLP
concern and manufacture BOPP (Biaxially Oriented Polypropylene) Laminated PP
Woven Sacks which was used in packaging industries. They submitted process of
their products in a Chart as below:
POLYPROPYLENE /POLYMER RESINS
----EXTRUDER----
TAPES----
LOOMS---
UNLAMINATED FABRIC---EXTRUSION COATING(PP/LDPE)
LAMINATED FABRIC---PRINTING/CUTTING/STITCHING -
WEBBING -- JUMBO BAGS QUALITY CONTROL--DISPATCH
2. They submitted that Woven Sacks (bags) were made of Fabric which are
Laminated for extra strength and protection and that this was a technical
textile; that Tariff Chapter 6305 contains Sacks and bags, of a kind used for
the packing of goods.
3. They further mentioned the Dictionary meaning of sacks- A large bag made of a
strong material such as hessian, thick paper, or plastic, used for storing and
carrying goods. Polymers-A substance which has a molecular structure built up
chiefly or completely from a large number of similar units bonded together, eg
many synthetic organic materials used as plastics and resins. Polypropylene-A
synthetic resin which is a polymer of propylene, used chiefly for films, fibres
or moulding materials. It is used to make Artificial/Tehnical Textile Fabrics.
Polymers are composed of small fragments known as monomers that are joined
together in a long chain. A polymer is a chemical compound where molecules are
bonded together in long repeating chains. In making textile fiber or fabric,
some portion of plastic is used. They therefore put their point that Tariff
Chapter 63 should be applied to them having HSN Cde 6305. They sought
departmental confirmation for the same.
4. The applicant made certain additional submissions on 20.7.2018 ,wherein they
enclosed a copy of GST Tariff- Goods indicating category of Chapter 63 wherein
it was specifically mentioned that ˜Sacks and bags, of a kind used for the
packing of goods Other, of polyethylene or polypropylene strip or the like fall
under Chapter 6305 3300 and they manufacture sacks which are made out of
polypropylene. They also submitted that as per guidelines of the The Institute
of Chartered Accountants of India regarding Classification of
mixtures/combinations of a material/substance with other materials/substances as
per Rule 3(a) under Classification in case Goods are Classifiable Specific over
General , that the heading that provides a more specific description should be
preferred over the heading that provides a general description.
5. They therefore requested for guideline for classification of their goods made
out of polypropylene strip and to allow them to apply Chapter 6305 3300 in case
of their goods.
PERSONAL HEARING :
6. Personal hearing was scheduled on 7.6.2018 and 14.6.2018 .On 14.6.2018, Mr.
K.J.Gandhi appeared on behalf of the applicant and application was admitted for
Final hearing. On 12.9.2018, Mr. Gandhi appeared for personal hearing and he
submitted that they wanted to submit further submissions. However no one
appeared on 5.3.2020.
DISCUSSION AND FINDINGS:
7. We have considered the submissions made by the applicant in their application
for advance ruling as well as at the time of personal hearing. The issue
involved in this case pertains to classification of the product BOPP (Biaxially
Oriented Polypropylene Laminated PP Woven Sacks.
8. Reference is invited to Circular No. 80/54/2018-GST issued from F. No.
354/432/2018- TRU dated 31.12.2018. One of the matters referred in the Circular
was applicability of GST on supply of Polypropylene Woven and Non Woven Bags and
PP Woven and Non woven bags laminated with BOPP due to various representations
received regarding the classification.
8.1 It has been clarified that as per the explanatory notes to the HSN to HS
code 39.23, the heading covers all articles of plastics commonly used for the
packing or conveyance of all kinds of products and includes boxes, crates,
cases, sacks and bags. Para 7.3 of the Circular is reproduced below:
7.3 Further as per the Chapter note to Chapter 39, the expression "plastics"
means those materials of headings 39.01 to 39.14 which are or have been capable,
either at the moment of polymerization or at some subsequent stage, of being
formed under external influence (usually heat and pressure, if necessary with a
solvent or plasticizer) by moulding, casting, extruding, rolling or other
process into shapes which are retained on the removal of the external influence.
7.4 Thus it is clarified that Polypropylene Woven and Non-Woven Bags and PP
Woven and Non-Woven Bags laminated with BOPP would be classified as plastic bags
under HS code 3923 and would attract 18% GST.
7.5 Non-laminated woven bags would be classified as per their constituting
materials.
8.2 Thus it is clarified that Polypropylene Woven and Non-Woven Bags and PP
Woven and Non-Woven Bags laminated with BOPP would be classified as plastic bags
under HS code 3923 and would attract 18% GST. Non-laminated woven bags would be
classified as per their constituting materials.
9. We find that the issue has also been decided by Authority for Advance Ruling
under GST, Madhya Pradesh in the case of Nagrani Warehousing P Ltd 2019 (20)
GSTL 799 (Aar GST) vide Order No. 21/2018 dated 14.12.2018 in Case No. 22/2018
wherein it was ruled that the goods in question viz PP Woven Bags/Sacks shall be
classifiable under Chapter 39 of the GST Tariff and not under Chapter 63. In the
above ruling, the Authority for Advance Ruling under GST Madhya Pradesh relied
on the judgement of Honble High Court of Madhya Pradesh in case of M/s Raj
Packwell Ltd v UOI wherein it was observed as under :
In the Textiles Committee Act, 1963 (Act 41 of 63) the word fibre has been
defined in Section 2 (a) as under:
˜fibre means man made fibre including regenerated cellulose rayon, raon, nylon
and the like. y Textiles has been defined in Section 2 (g) as under:
˜Textiles means any fabric or cloth, or yarn or gannent or any other articles
made wholly or in part of
(i) Cotton; or
(ii) Wool; or
(iii) Silk; or
(iv) Artificial silk or other fibre, and includes fibre.
Therefore, according to the above definition, any
fabric or cloth or yarn or garment if made wholly or in part of cotton, wool,
silk, artificial silk or other fibre shall be called textiles.
The definition of fibre includes the regenerated cellulose, rayon, nylon and
the like. Nowhere in the aforesaid definition of fibre or ˜textiles plastic
has been mentioned as a commodity to be included in the definition of fibre or ˜textiles. Now in Shree Radhe Industries case (supra) and the Shellya
Industries case (supra) irrespective of the entries in the tariff as prevailing
then, it has been held that the HDPE sacks are articles made of plastic; they
are made of high density polyethylene which is a plastic raw material and it has
further been held that they are not manmade. filament yarn but are articles of
plastic. The circular of the Central Board of Direct Taxes dated 20.1.1985 also
clearly says that the Board has decided that so long as the finished articles of
plastic is made out of plastic material falling under Tariff NO.15A (i), even if
at the intermediate stage articles classifiable under Item No.15A (ii) if any
tariff item emerges, the said product would be considered to have been produced
out of plastic material falling under Tariff Item No.15A (i) and, therefore, the
HDPE woven sacks should be considered as articles of plastic,
Having so discussed the and defined the word ˜Man Made Fibre and ˜Textile for
the purpose of arriving at the appropriate classification of HDPE Woven
Bags/Sacks, the Honble High Court has opined; ˜ the process of manufacture of
HDPE tapes, the earlier judgments of the CEGAT approved by the Supreme Court and
accepted by the department clearly go to show that HDPE bags are the bags woven
by plastic strips and they, therefore, are goods of plastic and the material
used for weaving those bags being the strips of plastic made from plastic
granules, the strips of plastic used for weaving aforesaid HDPE woven sacks has
to be classified as an item under entry 3920 of Chapter 39 and not under entry
5406 of Chapter 54. Accordingly, entries of finished goods have also to be made
under proper Chapter of the Tariff Act treating them as the finished goods made
of plastic strips.
In the result we hold
that HDPE strips or tapes fall under the Heading 3920, Sub-heading 3920.32 of
the Central Excise Tariff Act and not under heading 5406, sub-heading 5406.90.
Similarly HDPE Sacks fall into heading 3923, Sub-heading 3923.90¦.
9.2 The Advance Ruling Authority of Madhya Pradesh also relied on the judgment
of the Honble Tribunal in the case of M/s Gujrat Raffia Industries Ltd., V/s
Commissioner of Central Excise on 14.1.2003 wherein, the Honble Tribunal in the
matter had also held classification of similar goods under chapter 39 instead of
chapter 63.
10. Since the decision of Honble High Court of Madhya Pradesh is crystal clear
and squarely applicable in the present case, the goods in question are being
held as classifiable under Chapter 39 of the GST Tariff and not 6305 of the GST
Tariff.
(SANJAY SAXENA)
MEMBER
(MOHIT AGRAWAL)
MEMBER
Place: Ahmedabad
Date: 11.03.2020.
Equivalent .