Sr. No. | Name of the Applicant | States/UT | Brief of Order in Appeal (OIA) | Order No. & Date | Download | Category |
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651 | M/s Good Hands Facility Management Services | Tamil Nadu | 1. Whether the activity of Bus Body Building on the chassis supplied by the customer on job work basis is a supply of service or supply of goods? 2. If it is supply of Service, what is the applicable rate of GST and its SAC code? 3. If it is supply of goods, what is the applicable rate of GST and its HSN? |
TN/39/AAR/2022 DATED 07.12.2022 | 97(2)(a) | |
652 | M/s Shriram Pistons & Rings Ltd. | Uttar Pradesh | "Question-(a)Whether providing food to the employees at subsidized price as per terms and conditions of the employment contract, falls outside the scope of ""supply"" as the same is covered by Para 1, Schedule III of CGST Act, 2017? Question- (b) Whether the subsidized deduction made from the salary of employees who are availing facility of food in the factory can be considered as consideration of ‘supply of service’ by the Applicant to its employees in furtherance of business of the Applicant as per Section 7 r/w Schedule I of the Central Goods and Service Tax Act, 2017 and Uttar Pradesh Goods and Service Tax Act, 2017? Question-(c) In case answer to (b) is yes, whether GST is applicable on the amount deducted from the salaries of employees? Question-(d) Whether the Applicant is eligible to take input tax credit on the GST charged by third party contractor for canteen services availed by it for its employees? |
UP ADRG-16/2022 dt. 05.12.2022 | 97(2) (d) , (e), (g) | |
653 | M/s Prag Industries (India) Pvt. Ltd. | Uttar Pradesh | As to whether if goods are supplied as free replacement under guarantee period without any consideration, what would be the tax liability under GST.”? |
UP ADRG-15/2022 dt. 05.12.2022 | 97(2) (e) | |
654 | M/s Yaadvi Scientific Solutions Private Limited. | Karnataka | i. Whether on reimbusement of expenses at actual cost which are incurred by the employee staffs on behalf of Company is liable to tax? |
KAR ADRG 45/2022 Dated: 02-12-2022 | 97 (2)( e ) | |
655 | M/s PI Industries Ltd. | Haryana | 1. Whether the supply of spraying services undertaken by the Applicant is covered under Notification No. 12/201 7-CT and hence, exempted from payment of tax? 2. If tax is payable, then whether Applicant can avail input tax credit of inputs and input services used for undertaking supply of spraying services? |
HR/HAAR/03/2022-23 dated 02.12.2022 | 97 (2) b,d,e,g | |
656 | M/s New Age Instruments and Materials Pvt. Ltd | Haryana | Application has been withdrawn. |
HR/HAAR/16/2022-23 dated 02.12.2022 | 97 (2) ,a,b | |
657 | Aroma Agrotech Pvt Ltd. | Haryana | A. Whether GST would be leviable on export of pre-packaged and labelled rice upto 25 Kgs, to foreign buyer? B. Whether GST would be applicable on supply of pre-packaged and labelled rice upto 25 Kgs, to exporter on "bill to ship to" basis i.e., bill to exporter and ship to customs port. (Exporter ultimately exports the rice to foreign buyer). C. Whether GST would be applicable on supply of pre-packaged and labelled rice upto 25 Kgs, to the factory of exporter. (Exporter will export the rice). |
HR/HAAR/06/2022-23 dated 02.12.2022 | 97 (2) b,e | |
658 | M/s CAE Simulation Training Private Limited | Uttar Pradesh | Question- “Whether the supply of education and training services to commercial pilots in accordance with the training curriculum approved by the Directorate General of Civil Aviation for obtaining the extension of aircraft type ratings on their existing licenses would be covered under Sl. No. 66 (a) of the Notification No. 12/2017-Central Tax (Rate) dated 28.6.2017 and Sl. No. 66 (a) of the Notification No. A.NI.-2-843/XI-9(47)/ 17- U.P. Act-1-2017-Order- (10) -2017 dated 30.6.2017, and thereby, exempted from levy of Central Goods and Service Tax & Uttar Pradesh Goods and Service Tax.” |
UP ADRG-14/2022 dt. 02.12.2022 | 97(2) (b),(e) | |
659 | M/s Testmesures Spherea Solutions Private Limited. | Karnataka | i. Whether the services provided by the company to its parent company relating to the test benches which are in the name of MRO services, be classified under heading "9987 i(a): Maintenance, Repair or Overhaul services in respect of aircrafts, aircraft engines and other aircraft components or parts"? |
KAR ADRG 46/2022 Dated: 02-12-2022 | 97(2)(b) | |
660 | Mumbai aviation fuel farm Facility | Maharashtra | “Where inputs are consumed in the construction of an immovable property outside MAFFFL's licensed premises which are meant and intended to be for the provision of taxable output services, whether input tax credit was available to the assessee?” |
GST-ARA-126/2019-20/B.107 dated 01.12.2022 | 97(2)(d) |