Sr. No. | Name of the Applicant | States/UT | Appeal Order No. & Date | Brief of Order in Appeal (OIA) | Download | AR Order No. and Date, against which Appeal has been filed |
---|---|---|---|---|---|---|
51 | M/s. Mannarai Common Effluent Treatment Plant Private Limited | Tamil Nadu | AAAR/07/2023 (AR) Dated: 20.12.2023 | The Ruling passed by the lower authority in the case of appellant is set aside. The matter is remanded to the lower authority for re- examination and passing of appropriate fresh orders, after following the principles of natural justice |
Order No. 20/AAR/2023 dated: 19.06.2023 | |
52 | M/s. Haworth India Private Limited | Tamil Nadu | AAAR/06/2023 (AR) Dated: 20.12.2023 | The Ruling passed by the lower authority in the case of appellant is set aside. The matter is remanded to the lower authority for consideration and passing of appropriate orders, after following the principles of natural justice |
Order No. 23/ARA/2023 dated:20.06.2023 | |
53 | Tamil Nadu Nurses and Midwives Council | Tamil Nadu | AAAR/05/2023 (AR) Dated:09.12.2023 | The Ruling passed by the lower authority in the case of appellant is set aside. The matter is remanded to the lower authority for consideration and passing of appropriate orders, after following the principles of natural justice |
Order No. 17/ARA/2023 dated: 19.06.2023 | |
54 | Tamil Nadu Medical Council | Tamil Nadu | AAAR/04/2023 (AR) Dated:09.12.2023 | The Ruling passed by the lower authority in the case of appellant is set aside. The matter is remanded to the lower authority for consideration and passing of appropriate orders, after following the principles of natural justice |
Order No. 18/ARA/2023 dated: 19.06.2023 | |
55 | M/s. Arun Cooling Home | Tamil Nadu | AAAR/02/2024(AR) Dt. 22.01.2024 | The appeal filed by the Appellant, M/s. Arun Cooling Home was dismissed on the grounds of time limitation without going into the merits of the case. |
07/ARA/2020 dated 24.03.2021 | |
56 | M/s. Lions Seat Cushions Private Limited | Tamil Nadu | AAAR/01/2024(AR) Dt. 22.01.2024 | The Appellate Authority for Advance Ruling held that delay of 21 days in filing the appeal by the appellant beyond the normal time limit of 30 days is condoned in terms of proviso to Section 100(2) of CGST Act,2017 and the appeal will be taken up for consideration on merits. |
105/AAR/2023 Dated 05.09.2023 | |
57 | M/s Umed Club, Gaushala Ground, Old Public Park Road, Jodhpur | Rajasthan | RAJ/AAAR/11/2023-24 Dt. 20.02.2024 | The AAAR noted that the Appellant contended that the Advance Ruling was pronounced on 27.09.2021 on the basis of an amendment which was not operational as on the date of pronouncing Ruling. The AAAR felt that the AAR need to take note of the contention of the Appellant & pass a speaking order with reference to them. On being contended by the Appellant, the AAAR also noted that the decision was not taken by same members of AAR who have heard the case. This is a violation of the principles of natural justice. The AAAR ordered that the Ruling of the AAR, Rajasthan dated 27.09.2021 is set aside and the matter is remanded back to AAR to decide the application de-novo after considering all the contentions of the appellant. |
RAJ/AAR/2020-21/23 dated 27.09.2021 | |
58 | Board of Secondary Education Rajasthan Jaipur Road, Ajmer, Rajasthan | Rajasthan | RAJ/AAAR/10/2023-24 Dt. 20.02.2024 | The Ruling of AAR, Rajasthan dated 17.06.2022 is set aside and the matter is remanded back to the AAR to decide the application afresh after considering the judgement dated 21.04.2023 of Hon’ble High Court, Calcutta delivered in the case M/s Anmol Industries Ltd. Versus West Bengal Authority for Advance Ruling, Goods and Service Tax. |
RAJ/AAR/2022-23/09 dated 17.06.2022 | |
59 | M/s ADS Agro Industries Private Limited | Rajasthan | RAJ/AAAR/09/2023-24 Dt. 08.02.2024 | The Appellant have withdrawn their appeal application as the GST Council had issued clarification and notification in respect of the question on which Advance Ruling was sought. In light of the withdrawal of the Appeal by the Appellant, the AAAR dismissed the appeal as withdrawn. |
RAJ/AAR/2020-21/27 dated 25.10.2021 | |
60 | M/s L&T Hydrocarbon Engineering Limited | Rajasthan | RAJ/AAAR/08/2023-24 Dt. 19.12.2023 | It was held by the authority that (i) The Appellant's proposed supplies are appropriately classifiable under SAC Heading No. 9954 answering to description ‘Construction Services’ which are in the nature of composite supply defined as works contract. (ii) SAC Heading No. 998621 is more specific to describe the proposed supplies, This view of the appellant is not supported by the EPC Contract of the appellant. (iii) The claim for classification of proposed supply to be covered under SAC Heading No. 998621 or alternatively under Heading 9983 is not sustainable. (iv) The proposed supplies, therefore, attract tax at the rate of 9% in terms of item (xii) of entry at Sl. No. 3 of Notification No. 11/2017-CT (R), dated 28.06.2017 as amended and 9 % in terms of Notification issued under the RGST Act, 2017. It was held that the Ruling dated 13.09.2021 of the AAR for Rajasthan in respect of the Appellant is modified hereby modified to the extent mentioned in item (iv) above. The appeal is disposed of accordingly. |
RAJ/AAR/2020-21/18 dated 13.09.2021 |