Authority for Advance Ruling (AAR)

Sr. No. Name of the Applicant States/UT Brief of Order ­in ­Appeal (OIA) Order No. & Date Download Category
2291 The Bengal Rowing Club West Bengal

Classification and rates of tax on the services supplied by the club.

48/WBAAR/2018-19 dated 28.03.19

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97(2)(a) & (b)
2292 Sterlite Technologies Limited Maharashtra

1. Whether the supply of goods or services for 'setting up of network' would qualify as 'works contract' as defined in Section 2(119) of the CGST Act?

2. If supplies contemplated as per the contract with BSNL are not treated as works contract, can these continue to qualify as composite supply? if yes what is the principle supply?

3. What is the rate of tax applicable to the supplies made under the contract?

NO.GST-ARA- 106/2018-19/B- 34 Mumbai dated 28.03.2019

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97(2)(a)& (b)
2293 NMDC Limited Karnataka

Whether credit of service tax paid on Operation &Maintainenance service received by the applicant in Pre-GST regime can be claimed as Input Tax credit under section 140(5) of the GST Act 2017 in case invoices for such services were received after the appointed date.

But the Applicant requested to permit them to withdraw the application filed for advance ruling vide their letter dated 25-03-2019.

No.4 dated 27.03.2019

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97 (2) (c) (d)
2294 Innovative Textile ltd. Uttarakhand

Whether business transfer agreement as a going concerned on slump sale basis is exempted from the levy of GST in terms of sl. no. 2 of the notification no.12/2017 central tax(Rate) dated 28-06-2017?

No.20 dated 26.03.2019

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97 (2) (b)&(e)
2295 Alok Bhanuka West Bengal

Whether repairing of transformers is composite supply and what will be the applicable rate of tax.

47/WBAAR/2018-19 dated 26.03.19

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97(2)(a) & (b)
2296 EskagPharma Pvt. Ltd. West Bengal

Classification of food supplements.

46/WBAAR/2018-19 dated 26.03.19

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97(2)(a)
2297 G A Infra Pvt. Ltd. Rajasthan

Whether the activity of O & M of Fluoride control project on ESCO Model  and O & M work supply of goods or supply of services and what shall be the rate of GST on it?

RAJ/AAR/2018-19/41 dated 25.03.2019

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97 (2) (a) & (e)
2298 Wolkem Industries Ltd. Rajasthan

1.    What is the classification of service provided in accordance with Notification No. 11/2017-CT (Rate) dated 28.06.2017 read with annexure attached to it, by the State of Rajasthan to M/s Wolkem Industries Limited for which royalty is being paid?
2.    Whether said service can be classified under 9973 specifically under 997337 as Licensing services for the right to use minerals including its exploration and evaluation or as any other service?
3.    What is the rate of GST on given services provided by the State of Rajasthan to M/s Wolkem Industries Limited for which royalty is being paid?

RAJ/AAR/2018-19/39 dated 25.03.2019

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97 (2) (a) (b) & (e)
2299 Azad Coach Pvt. Ltd. Rajasthan

1.    Whether bus body building will be covered under HSN code 8707 or HSN code 9988
2.    What is the GST rate applicable on bus body building if it is not covered under Bodies (including cabs), for the motor vehicles of heading 8701 to 8705(HSN code 8707) or under other manufacturing services on physical inputs(goods) owned by others(HSN code 9988).

RAJ/AAR/2018-19/40 dated 25.03.2019

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97 (2) (a) & (e)
2300 Rajasthan RajyaSahakariKriyaVikriyaSangh Ltd, Rajasthan

1.    Whether the applicant is liable for charging goods and service tax under the RGST Act, 2017 and CGST Act, 2017 on providing service for procurement of agricultural produce i.e. oilseeds and pulses from farmers either itself or through KrayVikraySahakariSamiti on behalf of it’s principal i.e. National Agriculture CO-Operative Marketing federation of India Ltd. (NAFED).
2.    Whether the applicant is liable for charging RGST/CGST or IGST as the case may be on it’s outward supplies of goods as well as services after having procured through KrahVikrah, SahakariSamiti according to the purchase order of the NAFED
3.    Whether the applicant being a Co-Operative society registered under the Rajasthan State Co-Operative Society Act, 1953 now consolidated in the Rajasthan Co-Operative Societies Act, 2001 is liable to deduct Tax at Source (TDS) from payment to or credit of KrahVikrah, SahakariSamiti /RAJFED under Notification No. 50/2018-central tax dated 13.09.2018 for their services of procurement of oilseeds and pulses for the applicant to be supplied by the applicant to it’s principal NAFED.
4.    Whether the applicant being a Co-Operative society registered under the Rajasthan State Co-Operative Society Act, 1953 now consolidated in the Rajasthan Co-Operative Societies Act, 2001 is liable to deduct Tax at Source (TDS) from payment to or credit of RAJFED under Notification No. 50/2018-Central Tax dated 13.09.2018 for their services of procurement of gunny bags, transportation, insurance and services of surveyors for the applicant to be supplied by the applicant to it’s principal NAFED itself.

RAJ/AAR/2018-19/38 dated 22.03.2019

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97 (2) (b) (c)& (e)