| Sr. No. | Name of the Applicant | States/UT | Brief of Order in Appeal (OIA) | Order No. & Date | Download | Category |
|---|---|---|---|---|---|---|
| 1031 | M/s Teamlease Education Foundation | Karnataka | a.Whether, the Applicant is acting as a pure agent of the Industry partner to the extent of reimbursement received towards stipend paid to trainees on behalf of Industry partner as part of training agreement and therefore the said reimbursement is not chargeable to GST? b. Whether, the Applicant is acting as a pure agent of the Industry partner to the extent of reimbursement received against cost of medical and accident insurance obtained for the benefit of trainees by the Applicant and reimbursed by the Industry partner as per the training agreement and therefore the said reimbursement is not chargeable to GST? |
KAR/ADRG 07/2022 dated 08.03.2022 | 97 (2) (g) | |
| 1032 | M/s. Ionbond Coatings Pvt. Ltd. | Maharashtra | 1. Whether the activities carried out by the applicant qualifies for job work in view of the section 2(68) of the CGST Act, 2017? 2. If yes whether GST rate of 12% or 18% would be applicable in view of Sr. No. 26 (id) and (iv) of the Notification No. 11/2017 CT-Rate dated 28 June 2017 as amended vide Notification No. 20/2019 CT- Rate dated 30 Sep 2019? 3. If No, what would be classification of services and rate of tax thereof? |
GST-ARA- 41/2020-21/B-28 Mumbai dated 08.03.2022 | 97 (2) (a), (b) & (e) | |
| 1033 | M/s. ASTAGURU AUCTION HOUSE PRIVATE LIMITED | Maharashtra | Question 1: - The classification and HSN code of goods listed in table (as given in Annexure II of application as “Issue for Determination”) and GST rates applicable to such goods? Question 2: - Whether Applicant dealing in second hand goods is required to pay tax on the difference between selling price and purchase price as stipulated in Rule 32(5) of CGST Rules, 2017? |
GST-ARA- 40/2020-21/B- 27 Mumbai dated 08.03.2022 | 97 (2) (a), (c) & (e) | |
| 1034 | M/s Acme Holding | Gujarat | 1.For the Job work done during F. Y. 18-19, whether the invoice raised by the applicant considered to be a valid tax invoice as per provisions of GST law? |
GUJ/GAAR/R/2022/07dated 07.03.2022 | 97(2)(d) &(e) | |
| 1035 | M/s Global Engineering Co. (Trade Name), M/s.DilipParsotambhaiSiddhpura (Legal Name) | Gujarat | What GST rate to be charged on Marine engine falling under HSN 8402 and 8407, whether 28% or 5% (As per circular No. 52/26/201-GST dated 9-8-18) |
GUJ/GAAR/R/2022/05 dated 07.03.2022 | 97(2)(b) &(e) | |
| 1036 | M/s. Colourtex Industries Private Limited | Gujarat | Classification of TKP manufactured by Colourtex |
GUJ/GAAR/R/2022/04 dated 07.03.2022 | 97(2)(a) | |
| 1037 | M/s Shell Energy India Pvt. Ltd | Gujarat | 1.Whether the Applicant’s activity of providing service of re-gasification of LNG owned by its customers (who are registered under the CGST Act) to convert to RLNG, from its re-gasification terminal at Hazira Port, Gujarat would amount to rendering of service by way of job work as defined under Section 2(68) of the Central Goods and Services Tax Act, 2017 (‘CGST Act’)? 2. If yes, then whether the said re-gasification service by way of job-work be classifiable under Entry (id) of Heading No. 9988 of Sl. No. 26 of Notification No.11/2017-CT (Rate) dated 28.06.2017 as amended vide Notification No. 20/2019-CT (Rate) dated 30.09.2019 and eligible for GST at the rate of 12%? |
GUJ/GAAR/R/2022/08 dated 07.03.2022 | 97(2)(a) &(b) | |
| 1038 | M/s. Intellecon Pvt Ltd | Gujarat | Whether the Entry no. 3(v) of the Notification No. 11/2017-Central Tax (Rate) dated 28.06.2017 (the Notification), as amended from time to time, is applicable to supplies by Intellecon under the Contract I and Contract II and resultantly, whether such supplies are subjected to 12% rate of Goods and Services Tax (‘GST’). |
GUJ/GAAR/R/2022/09 dated 07.03.2022 | 97(2)(b) | |
| 1039 | M/s. Intas Pharmaceutical Ltd. | Gujarat | Whether GST, at the hands of the applicant, is leviable on the amount representing the employees portion of canteen charges, which is collected by the applicant from employees and paid to the Canteen Service Provider. |
GUJ/GAAR/R/2022/03 dated 07.03.2022 | 97(2)(e)& (g) | |
| 1040 | M/s. Mohammed HasabhaiKarbalai | Gujarat | What should be the classification and applicable tax rate on the supply of Ready to Serve Fruit Beverage named as ‘Apple Cola Fizzy’ and ‘Malt Cola Fizzy’ made by the applicant under Notification No. 1/2017 – CT (Rate) dated 28.06.2017 as amended up to date? |
GUJ/GAAR/R/2022/02 dated 07.03.2022 | 97(2)(a) |









