Sr. No. | Name of the Applicant | States/UT | Brief of Order in Appeal (OIA) | Order No. & Date | Download | Category |
---|---|---|---|---|---|---|
1971 | Krish Biotech Research Pvt. Ltd., | Karnataka | 1. Whether the activity of technical testing and analysis carried out by KBRPL is liable to Goods and Services Tax under the provisions of Central Goods and Services Tax Act, 2017 read with Karnataka Goods and Service Tax Act, 2017, the Rules framed thereunder and Notifications issued from time to time. |
KAR/AAR/110/2019-20 dated 30.09.2019 | 97 (2) (b)(e) (g) | |
1972 | Acharya Shree MahashramanChaturmasPravasVyavastha Samiti Trust, | Karnataka | a) Whether the applicant is liable to pay tax on renting of temporary residential rooms for consideration to the devotees and renting of space for shops and stalls for the purpose of religious programmers where the predominant object is not to do business but for advancement of religion? c) Whether applicant is liable to pay tax on renting of space for stalls, where the predominant object is not to do business but for advancement of religion, if answer to the question 1 is yes? |
KAR/AAR/102/2019-20 dated 30.09.2019 | 97 (2) (a) (b) (e) | |
1973 | Tarun Realtors Private Limited | Karnataka | Whether taxes paid on procurement of goods and/or services for installation of the following, hereinafter referred to as “Installations”, are regarded as blocked credits under Section 17(5) of the CGST Act, 2017? |
KAR/AAR/103/2019-20 dated 30.09.2019 | 97 (2) (d) | |
1974 | Teamview Developers LLP | Karnataka | 1. Whether the above rates are applicable to constructions comprising entirely of construction of commercial space. If not, what is the rate of tax applicable both with ITC and without ITC? |
KAR/AAR/104/2019-20 dated 30.09.2019 | 97 (2) (d) (e) | |
1975 | Parexel International Clinical Research | Karnataka | a) Determination of liability to pay tax on the co-ordination services provided by the company to its affiliates outside India? |
KAR/AAR/122/2019-20 dated 30.09.2019 | 97 (2) (e) | |
1976 | Hindustan Coca-cola Beverages Pvt. Ltd. | Karnataka | “Whether “FANTA FRUITY ORANGE” product proposed to be manufactured is classified under Chapter Heading 2202 99 20 at Sl. No. 48 under Schedule II as “Fruit pulp or fruit juice based drinks”, or under Chapter 2202 99 90 at Sl.No. 24A under Schedule III as “Other Non-alcoholic beverages” or under 2202 10 at Sl.No.12 under Schedule IV as “all goods [including aerated waters], containing added sugar or other sweetening matter or flavoured” under Notification No.1/2017- Central Tax (Rate) dated 28.06.2017 (as amended)”. |
KAR/AAR/117/2019-20 dated 30.09.2019 | 97 (2) (a) | |
1977 | Brightstone Developers Private Limited | Karnataka | a) Whether the supply of turn-key Engineering, Procurement & Construction (EPC) Contract for construction of solar power plant wherein both goods and services are supplied can be construed to be a composite supply in terms of Section 2(30) of CGST Act, 2017? |
KAR/AAR/108/2019-20 dated 30.09.2019 | 97 (2) (b) | |
1978 | Wisdom Security Services | Karnataka | Is GST Applicable on man power services provided to Karnataka Rural Road Development Agency? |
KAR/AAR/107/2019-20 dated 30.09.2019 | 97 (2) (b) | |
1979 | Wework India Management Private Limited | Karnataka | a) Whether input GST credit can be availed by the applicant on the detachable 14mm Engineered Wood with Oak top Wooden Flooring which is movable in nature and capitalized as “furniture and fixture”, and is not capitalized as “immovable property”? |
KAR/AAR/106/2019-20 dated 30.09.2019 | 97 (2) (d) | |
1980 | Matrix Imaging Solutions India Private Limited | Karnataka | Whether they, being a health care service provider, are exempted from tax or not? |
KAR/AAR/105/2019-20 dated 30.09.2019 | 97 (2) (b) |