| Sr. No. | Name of the Applicant | States/UT | Brief of Order in Appeal (OIA) | Order No. & Date | Download | Category |
|---|---|---|---|---|---|---|
| 1711 | Tea Post Private Ltd. | Gujarat | Q.1. Classification of any goods and services or both for which “Franchisee Fees” and “Royalty” received by the applicant under the FranchiseeAgreement from the franchisee for the right to use its trademark, brandname and other proprietary knowledge(Intellectul Property). Q.2. Does transfer of an operational outlet (as mentioned in the Description), would amount to “Services by way of transfer of a going concern, as a whole or an independent part thereof”? Q.3 If the answer to question no. 2 is affirmative then, whether the said services are covered under Sl. No. 2 of the Notification No.12/2017-Central Tax (Rate) dated 28th June, 2017 and exempted from payment of tax? Q.4 If the answer to Question No.2 is negative then, whether the Input Tax Credit of tax paid on the supplies received at the time of developing the outlet is admissible or not? |
GUJ/GAAR/R/35/2020 dated 03.07.2020 | 97(2)(a) (b) (d) & (g) | |
| 1712 | Shri Bhaveen Ramesh Shah | Gujarat | Question: What is the Classification as per HSN and rate of tax in terms of the Notification No.01/2017-Central Tax (Rate) dated 28.06.2017 as amended by the Notification No.18/2018-Central Tax (Rate) dated 26.07.2018 in respect of their products, (i) The Zip Roll (i.e. Slide Fasteners), (ii) Finished Zippers and (iii) Sliders.? |
GUJ/GAAR/R/39/2020 dated 03.07.2020 | 97(2)(b) & (e) | |
| 1713 | Jain Dairy Products Pvt. Ltd. | Gujarat | Whether the benefit of exemption of GST at 0% is applicable for the invoices raised to the end use users in case of selling of Paneer in loose form without sealing of packet / in loose carry bags and bearing details like name of manufacturer and branches or others as required by FSSAI or other relevant Acts? |
GUJ/GAAR/R/40/2020 dated 03.07.2020 | 97(2)(b) | |
| 1714 | SKG-JK-NMC Associates (JV) | Gujarat | Q.1: Whether the said work can be covered under clause 3(v)(a) of the Notification No.11/2017-Central Tax (Rates) dated 28.06.2017 i.e. Works Contract by way of construction, erection, commissioning or installation of original works pertaining to railways so as the entitle it for charging rate of GST@ 12% instead of 18%? |
GUJ/GAAR/R/36/2020 dated 03.07.2020 | GUJ/GAAR/R/36/2020 dated 03.07.2020 | |
| 1715 | Nishith Vipinchandra Shah | Gujarat | Q.1.What is the HSN Code and rate of tax for Plastic Mechanical Liquid Dispenser? |
GUJ/GAAR/R/34/2020 dated 03.07.2020 | 97(2)(a) | |
| 1716 | Dhirubhai Shah & Co. LLP | Gujarat | |
GUJ/GAAR/R/31/2020 dated 02.07.2020 | 97(2)(a) (c) & (e) | |
| 1717 | Giriraj Quarry Works | Gujarat | Q.1 What is the classification of service provided in accordance with Notification 11/2017-CT (Rate) dated 28.06.2017 read with annexure attached to it, , for which royalty is being paid. Q.2 What is rate of GST on given services provided by State of Gujarat to Giriraj Quarry Works for which Royalty is being paid? |
GUJ/GAAR/R/32/2020 dated 02.07.2020 | 97(2)(a) & (e) | |
| 1718 | Karma Buildcon | Gujarat | 1. What will be the value of supply for the transaction of sale of residential/ commercial property with undivided rights of land? 2. In the case of construction of residential/commercial complex, the builder charges an amount which is inclusive of land or undivided share of land. As per Not No. 11/2017-CT (Rate) and 08/2017-I.T (Rate) both dated 28.06.2017 the land value is deemed to be one third (33.33%) of the total amount (i.e. value including land value) and GST is payable on balance amount. But in applicant’s case the value of Land is clearly ascertainable. In that case actual cost of Land can be deducted for the for the purpose of arriving at the taxable value of supply? |
GUJ/GAAR/R/33/2020 dated 02.07.2020 | 97(2)(a) (c) & (e) | |
| 1719 | Patrator | Gujarat | Q.1. Is PATRATOR required to take GSTIN? Q.2. Is PATRATOR required to pay tax under GST Act? |
GUJ/GAAR/R/28/2020 dated 02.07.2020 | 97(2)(e) & (f) | |
| 1720 | AB N Dhruv Autocraft (India) Pvt. | Gujarat | A. Whether the treatment or process of body building by fabrication and other processes carried out on chasis of motor vehicle owned by others is supply of services? B. If the above stated activity of body building is considered as supply of service in terms of description given at paragraph 3 of Schedule II of the CGST Act, 2017 what will be the rate of GST applicable on such service? C. What will be the service Code (tariff) for above stated activity of body building carried out on another person’s chasis of motor vehicle? D. What would be the classification and applicable rate of tax for the activity of accident repairing job on the vehicle supplied by the owner for such job if a lump sum price is charged that includes cost of material and labour? E. If the above stated activity of body building is not considered as supply of services, what will be the nature of this supply, tariff code and rate of GST for such supply? |
GUJ/GAAR/R/30/2020 dated 02.07.2020 | 97(2)(a) & (e) |









