Authority for Advance Ruling (AAR)

Sr. No. Name of the Applicant States/UT Brief of Order ­in ­Appeal (OIA) Order No. & Date Download Category
3051 Global Reach Education Services Pvt Ltd West Bengal

Whether the service provided to the Universities abroad is to be considered “export” within the meaning of Section 2(6) of the Integrated Goods and Services Act, 2017 ?

02/WBAAR/2017-18 dated 21/03/2018

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97(2) (e)
3052 Joint Plant Committee West Bengal

Whether the applicant will be liable for registration under any clause of Section 24 of the GST Act even if it is not making any taxable supply?

01/WBAAR/2017-18 dated 21/03/2018

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97(2) (f)
3053 Switching Avo Electro Power Ltd West Bengal

Whether supplies of power solutions, including UPS, servo stabiliser, batteries etc. can be treated as Composite Supply within the meaning of Section 2(30) of the CGST/WBGST Act, 2017 (hereinafter referred to as “the GST Act”)?

03/WBAAR/2017-18 dated 21/03/2018

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97(2) (a)
3054 M/S Siddhu Mal Paper Conversion Com Pvt. Ltd. Uttar Pradesh

उ0प्र0 राज्य सरकार द्वारा लागू ई-वे बिल की अनिवार्यता है अथवा नही ।

UP_AAR_02 dated 21.03.2018

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97(2)(b)
3055 M/s AnanyaGoel Uttar Pradesh

Manufacturing food as take away only with no sitting facility, is a restaurant service or manufacturing of goods.

UP_AAR_01 dated 21.03.2018

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97(2)(a)
3056 M/s. Rashmi Hospitality Services Private Limited Gujarat

One of the customer, who is recipient of services, has given the contract for catering services to be provided to the staff and premise for services to be provided for canteen has also been made available to the applicant, which is non Air-conditioned. Whether rate of tax on their supplies made to the recipient would be 12% or 18% ?

GUJ/GAAR/R/2018/8dt. 21.03.2018

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97(2)(e)
3057 Reliance Infrastructure Limited Maharashtra

i. Whether reinstatement charges paid to Municipal Authorities would be liable to GST?

ii. Whether access charges paid to Municipal Authorities would be liable to GST?

GST-ARA-11/2017/B-14 Mumbai, dt. 21.03.2018

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97(2) (a)
3058 M/s. Inox Air Products Pvt. Ltd. Gujarat

i.Whether the activity undertaken by the applicant amounts to “Job Work” as defined under Section 2(68) of the Central Goods and Services Tax Act, 2017 (herein after referred to as the ‘CGST Act, 2017’) ?
ii.What is the value on which the applicant is liable to pay GST ?

GUJ/GAAR/R/2018/7 dt. 21.03.2018

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97(2)(a)(c)(g)
3059 M/s Sayre Therapuetics Private Limited Karnataka

Health care services provided by clinical establishments, an authorised medical practitioner or para-medics are exempted vide SL.No.74 of the Notification No. 12/2017- Central Tax (Rate) dated 28th June, 2017.  Therefore the issue/s before us to decide are

a. Whether the Applicant qualifies as clinical establishment?

b. Whether the services provided by the applicant qualifies to be health care services?

05 dated 21-03-2018

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97 (2) (b) (e )
3060 M/s Skilltech Engineers & Contractors Private limited Karnataka

1. “Whether the contract, executed by them for KPTCL, is a divisible contract [Supply of goods & Supply of Services] or an indivisible contract [ works contract]?”

2. “Whether the tax rate of 12% [CGST-6% + SGST-6%] is applicable to the above contract, in pursuance of Notification No.24/2017-Central Tax (Rate) dated 21.09.2017?”  

03 dated 21-03-2018

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97 (2)(a ) (b)