Shapoorji Pallonji and Company Private Limited.

1.Whether the Transitional Provisions under Section 142(11)(c), (Chapter XX) of TNGST Act, 2017/CGST Act, 2017 is correctly applicable for the remaining installments of “Mobilization Advance’, which transitioned into the GST regime and to be adjusted/deducted by the applicant  post the implementation of GST (i.e. Post July 1, 2017).
2.Whether, the applicant  would be liable to pay GST, under the provisions of the TNGST Act, 2017/CGST Act, 2017 and allied laws, on the installments of the ‘Mobilization Advance’, which has transitioned into the GST regime and adjusted /deducted by the applicant  post the implementation of GST (i.e. post July 1, 2017).
3.Whether, the applicant  would be eligible to avail Input tax Credit (ITC) on Service Tax paid which was transferred from Pre-GST period through TRAN-1 Return filed in terms of the section 142(11)(c), under Transitional Provisions (Chapter XX) of both TNGST Act, 2017/CGST Act, 2017.

States/UT
Order No. & Date
TN/03/AAR/2020 dated 31.01.2020
Order date
31-01-20
Category
97(2)(e)
Year