Sr. No. | Name of the Applicant | States/UT | Brief of Order in Appeal (OIA) | Order No. & Date | Download | Category |
---|---|---|---|---|---|---|
2311 | Muncipal Corporation Pratapgarh | Rajasthan | a. Classification of any goods or services or both; |
RAJ/AAR/2018-19/37dated 14.03.2019 | 97 (2) (a) (e)& (g) | |
2312 | Mohan Infinity | Rajasthan | What is the GST rate on Natural Calcite Powder? |
RAJ/AAR/2018-19/36 dated 14.03.2019 | 97 (2) (a) | |
2313 | M/s. StinzoAutomotivesPvt. Ltd. | Haryana | Classification of the PVC foot mats manufactured and supplied by the applicant under Chapter 39 or under Chapter 57 and, accordingly, the tax rate as per Notification No. 1/2017 under CGST & HGST and further whether the product under reference will attract 9% (CGST) and 9% (SGST) or 6% (CGST) and 6% (SGST) tax or any other rate as may be applicable as per law. |
HAR/HAAR/2018-19/44 dated 14.03.2019 | 97(2)(e) | |
2314 | Shiva Writing Co Pvt. Ltd. | West Bengal | Classification of and rate of tax on tips and balls of ball point pens. |
44/WBAAR/2018-19 dated 13.03.19 | 97(2)(a) & (b) | |
2315 | Udayan Cinema Pvt. Ltd. | West Bengal | Whether the producer of a feature film is liable to pay IGST on reverse charge basis on payment made to a line producer engaged in Brazil. If so, what should be the classification of the service of a line producer and the rate of IGST. |
45/WBAAR/2018-19 dated 13.03.19 | 97(2)(a)(b) & (e) | |
2316 | Umadevi Kamal kumar Patni | Maharashtra | Implication of facts mentioned below on Sec. 22 of GST Act under various situations? |
NO.GST-ARA- 98/2018-19/B- 26 Mumbai dated 12.03.2019 | 97(2)(e)& (f) | |
2317 | Shree Swetta Industries | Maharashtra | What is the rate of GST applicable to the finished product (Fryums) manufactured by the Concern? |
NO.GST-ARA- 101/2018-19/B- 27 Mumbai dated 12.03.2019 | 97(2)(a) | |
2318 | Robo Quaaries Private Limited | Karnataka | What is the classification for the services received by M/s Robo silicon Private Limited from the state of Karnataka for which Royalty is being paid by M/s Robo silicon Private Limited? Whether the said service can be classified under the heading 9973 specifically under 997337 as licensing services for the right to use minerals including its exploration and evaluation or any other service under notification No 11/2017 –Central Tax (Rate) dated 28.06.2017 ? |
No.2 dated 12.03.2019 | 97 (2) (c) (a) | |
2319 | Robo Silicon Private Limited | Karnataka | What is the classification for the services received by M/s Robo silicon Private Limited from the state of Karnataka for which Royalty is being paid by M/s Robo silicon Private Limited? Whether the said service can be classified under the heading 9973 specifically under 997337 as licensing services for the right to use minerals including its exploration and evaluation or any other service under notification No 11/2017 –Central Tax (Rate) dated 28.06.2017 ? |
No.3 dated 12.03.2019 | 97 (2) (c) (a) | |
2320 | M/s Premier Car Sales Ltd. | Uttar Pradesh | (i)- Whether repair services carried out by the Applicant under the Dealership Agreement with HMIL, to fulfill the warranty obligation of HMIL which also involves supply of parts should be classified as a composite supply of services under Section 2(30) of CGST Act/ Section 2(30)of SGST Act, 2017? (ii)- Whether the entire repair services including supply of spares can be classified under S.No 25 in Notification 11/2017 Central Tax (Rate) dated 28th June, 2017/ parallel Notification issued under SGST Act subjected to tax at the rate of 9% under CGST? |
UP_AAR_29 dated 11.03.2019 | 97(2)(a) |