| Sr. No. | Name of the Applicant | States/UT | Brief of Order in Appeal (OIA) | Order No. & Date | Download | Category |
|---|---|---|---|---|---|---|
| 2161 | M/s AwasBandhu | Uttar Pradesh | Based on their activities whether AwasBandhu Uttar Pradesh can be exempt from GST regime. |
UP_AAR_38 dated 02.09.2019 | 97(2)(e) | |
| 2162 | Syngenta Bioscience Private Limited | Goa | 1. Whether the activity of on the technical testing services carried out by the applicant be treated as ‘zero-rated supply’? |
GOA/GAAR/09/2018-19 dated 29.08.2019 | 97(2)(e) | |
| 2163 | M/s Sutlej Coach Products Pvt. Ltd. | Punjab | What are the GST rate on Railway seat and parts thereof exclusively used by Railways i.e. M/s RCF? |
AAR/GST/PB/009 dated 29.08.2019 | 97(2)(a) | |
| 2164 | M/sK. M. Trans -Logistics Pvt Ltd, D-80,Chandpole, AnajMandi,Jaipur Rajasthan- 302001 | Rajasthan | 1. Does Transportation by own vehicles on the basis of Invoice(s) and E-way Bill without issuing the LR/GR by the Applicant Transporter will covered under exempted supply/non GST supply. |
RAJ/AAR/2019-20/19 dated 29.08.2019 | 97(2)(b) & (d) | |
| 2165 | HP India Private Limited | Tamil Nadu | What is the rate of GST applicable on supply of desktops consisting of CPU, monitor, Keyboard and mouse or any combination of input/output unit? |
TN/40/AAR/2019 dated 28.08.2019 | 97(2)(a) | |
| 2166 | A.M. Abdul RahmanRowther& Co | Tamil Nadu | 1. Classification of Goods 2. Application of Notification 01/2017- Comp.Cess(Rate) |
TN/37/AAR/2019 dated 27.08.2019 | 97(2)(a) | |
| 2167 | M/s Forbes Facility Services Pvt. Ltd. | Punjab | Regarding clarification on Notification No. 46/2017-Central Tax |
AAR/GST/PB/008 dated 27.08.2019 | The application of the applicant is rejected as withdrawn under section 98(2) of the CGST Act, 2017 and Section 98(2) of the Punjab GST Act, 2017 | |
| 2168 | Haworth India Private Limited | Tamil Nadu | 1. Whether on facts and circumstances of the case, the services supplied by the Applicant under the Service Agreement dated 1st September, 2018, qualify as an export of service as defined under section 2(6) of the Integrated Goods and Services Tax Act, 2017(‘IGST Act, 2017)? |
TN/38/AAR/2019 dated 27.08.2019 | N.A. | |
| 2169 | Shri. Madhukant Shah Vishal ( Proprietor M/s. Shree Parshwanath Corporation ) | Tamil Nadu | classification for the supply of “Dried Coconut (Shelled & Peeled)” |
TN/39/AAR/2019 dated 27.08.2019 | N.A. | |
| 2170 | Deputy Conservator of Forests | Karnataka | a) Is it legally correct to infer that the service of “logging” and its components described before do not attract any SGST under the CGST Act, 2017? If not, what is the correct position by law? b) In case the trees have grown from “plants” not planted by the Karnataka Forest Department, but that which grew by natural regeneration but were nurtured, managed and protected by the Karnataka Forest Department, does the same nil rate of SGST and CGST apply to them too? If not, what would be the rate? c) In case of sale of forest produce or any other goods belonging to Karnataka Forest Department, where the buyer is registered or is based in and transports the goods to outside the State of Karnataka, what should be charged under the CGST Act, 2017, (A) SGST and CGST, or (B) IGST? d) In case of sale of forest produce or any other goods belonging to Karnataka Forest Department, where the buyer is registered or is based outside the State of Karnataka, but uses the goods within the State of Karnataka, what should be charged under the CGST Act, 2017? (A) SGST and CGST, or (B) IGST? |
KAR/AAR/20/2019-20 dated 26.08.2019 | 97(2)(e) |









