2022(12)LCX0215(AAR)
Tata Motors Limited
decided on 05-12-2022
CUSTOM AUTHORITY FOR ADVANCE RULINGS
NEW CUSTOM HOUSE, BALLARD ESTATE, MUMBAI - 400 001
E-MAlL: cus-advrulings.mum@gov.in
The 5th of December,2022
Ruling No. CAAR/Mum/ARC/42/2022
ln
Application No. CAAR/CUS/APPL/67/2022-O/o Commr-CAAR- MUMBAI
Name and address of the applicant | : |
M/s. TATA Motors Ltd., Geetanil, l3-19
Nagindas Master Road, Hutatama Chowk, Mumbai - 400 001 |
Commissioner concerned | : |
The Commissioner of Customs (lll), Import
Air Cargo Complex, Sahar, Andheri (East), Mumbai - 400099 |
Present for the application | : |
Mr. Shubham Gupta (Authorised
representative, DGM-Indirect Taxation) Mr. Rajesh Shukla (Head, lndirect Taxation) Mr Sanjay Ekhande (DGM-Indirect Taxation) Mr. Gajanan Shanbag (Sr. Manager- Indirect Taxation) Mr. Smitan Bhrambhatt (DGM-ERC Advance Engineering) |
Present for the Department | : | None |
Ruling
M/s. Tata Motors Limited
(hereinafter referred as the Applicant) having its address at Geetanil, 13-19
Nagindas Master Road, Hutatama Chowk, Mumbai, 400001, is a leading automobile
manufacturer and is engaged in manufacturing of a wide range of Commercial
Vehicles and parts thereof for sale within India and abroad. They submitted an
application for advance ruling - CAAR-1, under Customs Act, 1962 dated
06.09.2022 seeking ruling on the classification of Fuel Cell System proposed to
be used in manufacturing of Hydrogen Fuel Cells Vehicles.
2. The applicant made the following submissions:
2.1. They are proposing to manufacture Hydrogen Fuel Cell Vehicles in India. The
Hydrogen Fuel Cell Vehicles proposed to be manufactured by the Applicant are
called Fuel Cell Electric Vehicles ['FCEVs']. They operate through power
generated by its Fuel Cell System and gas.
2.2. The FCEVs will operate using power derived from following sources:
(a) Power generated within the FCEV from Hydrogen Gas- The power is so generated by the vehicle's Fuel Cell System using hydrogen fuel cells. This power generated is mainly directly supplied to power electronic controller and transmission via Power Distribution Unit. Some portion of the power generated is also used to recharge the battery.
(b) Power stored in battery- This battery too is recharged using the power generated by the Fuel Cell System from Hydrogen gas.
The aforesaid operation is
pictorially represented below for easy understanding:
2.3. The vehicle will predominantly function using
the power generated by the Fuel Cell System using the hydrogen fuel cells. The
present application pertains to the classification of the aforesaid Fuel Cell
System proposed to be imported by the applicant.
2.4. The Fuel Cell System produces power using hydrogen. It enables the FCEVs to
operate on power so generated rather than drawing power from only a Battery.
Pictorial Image of Fuel Cell System is as follows:
Normally, conventional electric
vehicles are powered by electricity and any other alternate source of power. The
electricity is supplied through a battery in the vehicle. The battery is charged
periodically, and the electricity is stored therein. The battery then
distributes the power to the parts of vehicle thereby powering the vehicle. The
Fuel Cell System cleanly and efficiently produces electricity using hydrogen
fuel cells. The hydrogen fuel cells produce no harmful emissions, eliminating
the costs associated with handling and storing toxic materials like battery acid
or diesel fuel. They are more efficient than many other energy sources,
including many green energy solutions. Further, the FCEVs are more beneficial as
compared to the conventional electric vehicles. The fuel cells are lighter and
smaller and can supply electricity as long as the hydrogen fuel is supplied.
Thus, they are suitable for long range vehicles. On the contrary, the
conventional electric vehicles depend on electricity stored in energy storage
device such as a battery and therefore are suitable for short range vehicles
only. Further, the fuel also requires lesser space in a vehicle than the
components in a conventional electric vehicle. Therefore, size of the vehicles
that can be al located for the components is also less in FCEVs as compared to
conventional electric vehicles. During the vehicle design process, the vehicle
manufacturer defines the power of the vehicle by the intended application and
drive cycle.
2.5. The Fuel Cell System is made of seven
components as tabulated below.
Sr. No. | Name of Component |
Function in brief |
1. | fuel Processing System | Safe supply and regulation of hydrogen received by the FCS to the fuel cell stack. Safe and complete isolation of the FCS from incoming hydrogen. Safe and efficient recirculation of hydrogen through the FCS, efficient management of anode water, and minimisation of fuel cell degradation mechanisms. Safe management of purge gas for supply to the cathode exhaust for dilution proposes. Safe and complete isolation of the fuel cell stack at the anode exit. |
2 | Fuel cell stack module | Safe and efficient hydrogen electro-oxidation and oxygen electro-reduction to generate useful electrical power, thermal management, |
3 | Air Processing System | Safe and efficient
mechanical compression of ambient air for delivery to the air
intercooler and humidification module |
4 | Thermal Management System | Conditioning,
distribution, monitoring and control of coolant received by the FCS for
FCS cooling and heating requirements. |
5 | Electric module | Safe and efficient distribution and consumption of HV/LV electricity within the boundary of the FCS. Safe and efficient generation and supply of HV electricity from the FCS. |
6 | FCS monitoring control and module | Safe and efficient monitoring and control of FCS control via FCS sensors and actuators in all FCS modules. |
7 | DC DC Converter | It Boost the Fuel Cell Module Voltage to match up the HV Junction Box voltage and it may help to charge Battery and/or run the vehicle |
The Fuel Cell System operates in
interaction with the Vehicle Control Unit (VCU). The inputs from the user
(driver of the FCEVs) are supplied by the VCU to the Fuel Cell System, on the
basis of which the Fuel Cell System generates and distributes the electricity.
2.6. The functioning of the Fuel Control System can
be summarised as follows. The Fuel Cell Control Unit (FCU), on receipt of input
regarding the required amount of power from the VCU, computes the amount of
hydrogen, oxygen and coolants required for the same. Based on the power
requirement from the vehicle, FCU calculates the Hydrogen supply pressure
required to meet the power demands from FCU and regulates the Hydrogen supply.
Based on the input from the FCU, the Fuel Processing System and Air Processing
System supply the required amount of hydrogen and oxygen respectively. Thermal
Management System distributes, monitors and controls the coolants as per defined
control mechanism. The Fuel Cell Stack thereupon generates the required amount
of power. The power so generated is received and distributed by the Electric
Module which functions like a junction box. Voltage level in Fuel Cell Generated
power is Boosted to match HV battery level and then distributed to other HV
aggregates. The Fuel Cell system also simultaneously recharges the battery in
the FCEVs so that differential power requirement, if required by the FCEVs
during its run, can be supplied by the battery. For instance, at the time of
acceleration of the vehicle, the required power is taken by the FCEVs from the
battery till such time the Fuel Cell System produces sufficient quantity of
power. Thus, the battery in FCEVs are charged only to support the vehicle
function as a stand by.
2.7. The present Advance Ruling is sought to ascertain the correct
classification of Fuel Cell System. They had submitted that it should be
classified under 85.01. They also submitted that the Fuel Cell System is
classified by the Supplier, i.e. Hyundai Motor Company also under Heading 85.01
only.
3. A personal hearing was held on 13.10.2022 and the applicant was represented
by Shri. Shubham Gupta (DGM-Indirect Taxation), Shri. Sanjay Ekhande (DGM-Indirect
Taxation), Gajanan Shanbag (Sr. Manager-Indirect Taxation) and Shri Smitan
Bhrambhatt (DGM-ERC, Advance Engineering). They reiterated their submissions
made in their CAAR-1 application. No one appeared on behalf of the
Jurisdictional Commissioner. I have gone through the application and the
submissions made by the applicant. No comments were received from the
Jurisdictional Commissioner. Now let me turn to the issue of classification
raised by the applicant.
4.1. The Hydrogen Fuel Cell Vehicles proposed to be
manufactured by the applicant are called Fuel Cell Electric Vehicles [FCEV s'].
They operate through power generated by its Fuel cell System and gas. The FCEVs
will operate using power derived from power generated within the FCEV from
Hydrogen Gas and the power stored in battery. The vehicle will predominantly
function using the power generated by the Fuel Cell System using the hydrogen
fuel cells. The Fuel Cell System produces power using hydrogen. It enables the
FCEVs to operate on power so generated rather than drawing power from only a
Battery. The Fuel cell System is made of seven components viz. Fuel Processing
System, Fuel cell stack module, Air Processing System, Thermal Management
System, Electric module, FCS monitoring control and module and DC-DC Converter.
The present application pertains to the classification of the aforesaid Fuel
Cell System proposed to be imported by the applicant. They had submitted that it
should be classified under CTH 85.01 of schedule I of the Customs Tariff Act,
1975. They also submitted that the Fuel Cell System is classified by the
supplier Hyundai Motor Company also under Heading 85.01.
4.2. The classification of the goods under the Tariff is governed by the
principles as enumerated in the General Rules of Interpretation (GRI) set out in
the Tariff. As per Rule I of the GRI, classification of the imported products
shall be determined according to the terms of the headings and any relative
Section or Chapter Notes and, provided such headings or Notes do not otherwise
require, according to the remaining Rules of the GRI.As per Rule 2(b) of the GRI,
the classification of goods consisting of more than one material or substance
shall be according to the principles of Rule 3. As per Rule 3(a) Of the GRI, the
most specific heading shall be preferred over general heading for classification
of the goods. As per Rule 3(b) of the GRI Rules, goods put up in sets for retail
sale shall be classified according to the components, which can be regarded as
conferring on the set as a whole its essential character. Rule 3(b) of the GRI
Rules is extracted below for ready reference.
"Mixtures, composite goods consisting of different materials or made up of different components, and goods put up in sets for retail sale, which cannot be classified by reference to (a), shall be classified as if they consisted of the material or component which gives them their essential character, in so far as this criterion is applicable."
4.3. As explained above, the Fuel
Cell System is made up of seven components. The components function together in
order to generate and distribute the electricity to the parts of the FCEVs. The
possible headings under the First Schedule to the Customs Tariff Act, 1975 under
which the Fuel Cell System can be classified is 85.01 (Electric motors and
Generators) and 87.08 (Parts and accessories of the motor vehicles of Heading
8701 to 8705). The applicants submit that Fuel Cell System shall be classified
under CTH 85.01. The Tariff Heading 85.01 of the Customs Tariff covers Electric
motors and Electric Generators (excluding generator sets).
4.4. I agree with applicant's contention about the importance of HSN explanatory
notes as a guiding tool in deciding classification issues in Customs which is
already highlighted in apex court judgment in the case of Collector of Customs,
Bombay Vs. Business Forms Ltd., 2002(142) E.L.T 18 (SC). As per the above HSN
Explanatory Notes to Heading 85.01, the machines that produces electrical power
from various energy source are Electrical generators covered under the Heading
85.01. Further, the said Heading covers generators of all sizes and types used
for supplying current for variety of purposes as per the said Explanatory Notes.
The Fuel Cell System proposed to be imported by the applicant is also an
electrical generator inasmuch as its purpose is to generate the electricity from
hydrogen cells for powering the FCEVs. In fact, the Fuel Cell System is designed
based on the power requirement of the FCEVs in which it is proposed to be used.
The Explanatory Note gives an example of generators used for supplying
electricity in diesel-electric trains to be covered under the Heading 85.01.
Applicants have submitted that the function of the Fuel Cell System is akin to
the above example and therefore, they qualify as electric generators for this
reason also. The Fuel Cell System is made of seven components viz. Fuel
Processing System, Fuel cell stack module, Air Processing System, Thermal
Management System, Electric module, FCS monitoring control and module and DC-DC
Converter. Five of these components contribute in electricity generation and two
components contribute to electric power transmission. Hence the question of
classification is required to be examined further.
4.5 In terms of Note 3 to Section XVI of the Customs Tariff, composite machines
consisting of two or more machines fitted together to form a whole are to be
classified as if consisting only of that component which performs the principal
function. Relevant Note is extracted below:
3. Unless the context otherwise requires, composite machines consisting of two or more machines fitted together to form a whole and other machines designed for the purpose of performing two or more complementary or alternative functions are to be classified as if consisting only of that component or as being that machine which performs the principal function.
As already explained, the Fuel Cell System consists of seven components which generate and distribute electricity to power the FCEVs. The principal function of the Fuel Cell system is generation of electricity. This can be seen from the following facts:
a) Majority of the components in the Fuel Cell System contributes to the function of generating electricity. Five out of seven components, viz., Fuel Cell Stack module, fuel processing system, air processing system, thermal management system and FCS monitoring and control unit, work towards generation of electricity. Only two components, viz., DC-DC Converter and Electric module, works to distribute the electricity generated.
b) Even the functions of the DC-DC converter and Electric module are complimentary to the main function of generation of electricity. This is because they predominantly only regulate and convert the voltage of the electricity generated for distribution as required by the FCEVs.
c) The principal objective of the Fuel Cell System is to generate cleaner fuel alternative by generating electricity from hydrogen cells. This being the case, distribution of electricity cannot be said to be the principal function of the Fuel Cell system.
4.6 Thus, in terms of Note 3 to
Section XVI, the Fuel Cell system is to be classified as per its principal
function which is generation of electricity. Therefore, for this reason also,
the Fuel Cell System are classifiable under CTH 85.01 only. Reliance is placed
on the judgement of Hon'ble CESTAT, Chandigarh in case of Hero Electric Vehicles
Pvt. Ltd. vs. Commissioner of Customs, Ludhiana (2018 (364) ELT 1090 (Tri-Chan),
wherein it was held that the product having essential character and performing
principal function of a motor is to be classified as electric motor only. I
agree with the contention of the applicant as well as the ratio laid down by the
honourable Tribunal.
4.7 For examining the correct classification of Fuel Cell System the other
competing entry is the CTH 87.08 which covers Parts and Accessories of Motor
Vehicles of heading 87.01 to 87.05. In terms of the HSN Explanatory Notes to
Heading 87.08, to be parts and accessories of motor vehicle under the above
Tariff heading, the goods ought to satisfy both the following conditions -
(a) They must be identifiable as being suitable for use solely or principally with the vehicles of Chapter 87; and
(b) They must not be excluded by the provisions of the Notes to Section XVII.
Further in terms of Note 2(f) to Section XVII of the Customs Tariff, the terms 'parts' and 'parts and accessories' used in any chapter of Section XVII do not apply to electrical machinery and equipment of Heading Chapter 85. Relevant Note is extracted below for ready reference
"2 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)..
f) electrical machinery or equipment (Chapter 85)
As the Fuel Cell System is an
electrical power generating equipment as detailed above, it automatically gets
excluded by the provisions of Note 2(f) to Section XVII of the Customs Tariff
and therefore merits classification under Heading 85.01 as Electric Generators
as they are excluded from the provisions of Notes to Section XVII of the Customs
Tariff. Therefore, in terms of aforesaid Section Note 2(f) read with the HSN
Explanatory Note to Heading 87.08, the fuel cell system cannot be regarded as
'parts' of motor vehicle in terms of Heading 87.08.
4.8 In terms of Note 2(a) to Section XVI of the Customs Tariff, the parts which
are goods included in any of the headings of Chapter 84 or 85 are to be
classified under the said headings only. Relevant portion of the note is
extracted below:
"Subject to Note 1 to this Section, Note 1 to Chapter 84 and to Note 1 to Chapter 85, parts of machines (not being parts of the articles of heading 8484, 8544, 8545, 8546 or 8547) are to be classified according to the following rules:
(a) parts which are goods included in any of the headings of Chapter 84 or 85(other than headings 8409, 8431, 8448, 8466, 8473, 8485, 8503, 8522, 8529, 8538 and 8548) are in all cases to be classified in their respective headings;
(b)….
4.9 Section Note 2(a) above
categorically states that parts which are goods included in any of the headings
of Chapter 85 are in all cases to be classified in their respective headings.
Although certain exclusions have been made by way of the Note 2(a) to Section
XVI of the Customs Tariff, the CTH 8501 is not excluded by virtue of this note.
The Fuel Cell System is specifically covered under CTH 8501 by virtue of section
note of the section XVI of schedule I of the Customs Tariff Act, 1975, therefore
it cannot be covered under the CTH 87.08. As per the data disclosed in the
CAAR-1 Application the output of the Fuel Cell System will be 80 kW (net) and 90
kW (gross). Based on these disclosures the corresponding entry in the Tariff is
8501 33 20.
5. On the basis of the above findings, the Fuel Cell System which is made up of
seven components viz. Fuel Processing System, Fuel cell stack module, Air
Processing System, Thermal Management System, Electric module, FCS monitoring
control and module and DC-DC Converter proposed to be imported by the applicant
merits classification under CTH 85.01 and more specifically under CTH 8501 33
20.
(Narendra V. KuIkarni)
Customs Authority for Advance Rulings,
Mumbai
F.N o. CAAR/CU /APPL/67/2022-O/o Commr-CAAR-Mumbai Dated: 05.12.2022
This copy is certified to be a true copy of the ruling and is sent to:
1.M/s. TATA Motors Ltd.,Geetanil,
13-19 Nagindas Master Road, Hutatama Chowk,
Mumbai- 400 001
Email: shubham,gupta1@tatamotors.com
2, The Comrnissioner of
Customs (lII), Import Air Cargo Complex, Sahar, Andheri (East), Mumbai- 400099
Email: import.acc:gov.in
3. The customs Authority
for Advance Rulings, 5th Floor, NDMC Building, Yashwant Place, Satya
Marg, Chanakyapuri New Delhi-110021
Email: cus-advrulings.del@gov.in
4. The Principal Chief
Commissioner of Customs, Mumbai Customs Zone-l Ballard Estate, Mumbai -400001
Email : ccu-cusmumI@nic.in
5. The chief- commissioner(AR),
customs Excise &. Service Tax Appellate Tribunal (CESTAT),West Block-2,Wing-2,R.K.Puram,
New Delhi-110066.
Email : cdrcestat123@gmail.com, ccar.cestat-delhi@gov.in
6. The Commissioner (Legal), CBIC
Offices, Legal/CX.8A, Cell, 5th, floor, Hudco vishala Building,
c-wing, Bhikaji cama Place, R. K. Purarn, New Delhi - 110066
Email:anishgupta.irs@gov.in,
commr.legal-cbec@nic.in
7. The Member (Customs),
Central Board of lndirect Taxes, North Block, New Delhi-110001
Email : mem.cus-cbec@nic.in
8. The Webmaster, central
Boards of Indirect Taxes & customs,
Email : webmaster.cbec@icegate.gov.in
9. Guard file.
(P. Vinitha Sekhar)
Secretary/Additional Commissioner,
Customs Authority for Advance Rulings,
Mumbai