| Sr. No. | Name of the Appellant | States/UT | Brief of Order in Appeal (OIA) | Order No. & Date | Download | Category |
|---|---|---|---|---|---|---|
| 1201 | M/s. BarakatbhaiNoordinbhai | Gujarat |
Whether any tax is payable in respect of sale /supply of Fryums manufactured by the applicant? And if the answer is in affirmative, the rate of tax thereof? ‘Un-fried Fryums’ 18% (CGST 9% + GGST 9% or IGST 18%) |
GUJ/GAAR/R/66/2020dated 17.09.2020 | 97(2)(a),(b)&(e) | |
| 1202 | M/s. ENP Techno Engineers | Gujarat |
The services supplied by the applicant M/s. ENP Techno Engineers, Ahmedabad would fall under item (iv) of Entry No.26 of Notification No.11/2017-Central Tax(Rate) dated 28.06.2017 (as amended from time to time) issued under the CGST Act, 2017. The GST liability would be 18% (9% SGST + 9% CGST) for the period upto 21.11.2019. The GST liability for the applicant for the period from 22.11.2019 onwards would be: (i) 12% (6% SGST + 6% CGST) in respect of services supplied to registered persons and (ii) 18%(9% SGST + 9% CGST) in respect of services supplied to unregistered persons. |
GUJ/GAAR/R/89/2020dated 17.09.2020 | 97(2)(b)& (e) | |
| 1203 | M/s. Jayant Food Products | Gujarat |
Question: Under which tariff Heading PAPAD of different shapes and sizes manufactured/ supplied by the applicant would attract CGST and SGST? ‘Un-fried Fryums’ 18% (CGST 9% + GGST 9% or IGST 18%) |
GUJ/GAAR/R/65/2020dated 17.09.2020 | 97(2)(a)&(e) | |
| 1204 | M/s. AshimaDyecotPvt. Ltd. | Gujarat |
Whether the article ‘Fusible Interlining cloth for cotton fabrics’ manufactured by the applicant falls under Chapter 5903 or under Chapter 52 or 55 of the HSN? |
GUJ/GAAR/R/90/2020dated 17.09.2020 | 97(2)(b) | |
| 1205 | M/s Jinmagal Corporation | Gujarat |
1. Whether the one time long term lease premium payable/paid by the Jinmangal Corporation to Ahmedabad Urban Development Authority is supply and thus liable to pay tax as pr Section7? 2. Whether Jinmagal Corporation is required to discharge pay tax under Reverse Charge Mechanism in accordance to Section 9(3) on one time lease premium payable to AUDA in light of notification No. 13/2017 as amended by 05/2019. 3. Whether the annual lease premium Payable/paid by the applicant is supply? 4. Whether Jinmangal Corporation is required to discharge/tax under Reverse Charge Mechanism in accordance to Section 9(3) on one time lease premium payable to AUDA in light of Notification No. 13/2017 as amended by Not. No. 05/2019. |
GUJ/GAAR/R/64/2020dated 17.09.2020 | 97(2)(b)&(e) | |
| 1206 | M/s Apex Powers | Uttar Pradesh |
Q-1 Under Chapter 85 what is the correct 4 digit HSN code classification for solar power generating system? Ans-The 4 digit HSN Code of ‘’Solar power Generating System’ is 8541. Q-2 What constitutes solar power generating system 85. what are the various components and technical requirements That together constitutes solar power generating System under Chapter 85? Ans- ‘’Solar Panel, Inverter ,Controller and battery are essential elements of “solar power generating System” and supply of aforesaid four items as a whole would cover under the “solar power generating System” But cable & monitoring structures are also supplementary elements of “solar power generating. System” |
UP_AAR_65 dated 17.09.2020 | 97(2)(a) | |
| 1207 | M/s. Max Non WovenPvt. Ltd. | Gujarat |
Q.1 Whether the product Non Woven Bags manufactured through the intermediate product Non Woven fabric classifiable under Heading No. 5603 are properly classifiable under Heading No. 6305 or under Heading No. 3923? Q.2. Whether the product Non Woven Bags would be eligible for exemption under Notification No. 01/2017-CT (Rate) and 01/2017-I.T. (Rate) dated 28.06.2017 as amended? |
GUJ/GAAR/R/62/2020dated 17.09.2020 | 97(2)(a)&(b) | |
| 1208 | M/s U.P POWER CORPORATION LTD | Uttar Pradesh |
Q-1Whether there is a supply of service by the applicant Corporation in recovery of expenses from DISCOMs as well as UPPTCL and other power companies by way of book entries and hence , liable to GST. ANS-1 The Application is liable to pay GST on the O&m Expenses charged from its subsidiary companies. Q-2 Whether inclusion clause in subsection (2) of section 15 of CGST Act, 2017 providing for inclusion of incidental expenses in value of supply apply to applicant’s case (i.e recovery, by way of book entries, of O&M expenses from DISCOMs as well as UPPTCL and other power companies)when there is no supply of a service by the Corporation to the DISCOMS as well as UPPTCL and other power companies so as to make the stated recoveries from DISCOMS UPPTCL and other power companies liable to GST, if answer to question 1 is negative. ANS-2 As the supplies have been held as taxable as per 1 above the no2 becomes infructuous. Q-3 If the answer to (i) or (ii) is in affirmative whether recovery against certain expenses such as interest cost, salary, depreciation etc. which do not attract GST due to either they being exempt or non taxable will also be liable to GST. Ans- With regard to the specific heads as mentioned in the question no.3 The GST would be chargeable Q-4 Whether Transfer of miscellaneous incomes of Applicant Corporation To DISCOMS UPPTCL and other power companies liable to GST. Ans- Income shared with the subsidiaries by the Applicant would also be Chargeable to GST. |
UP_AAR_64 dated 17.09.2020 | 97(2) (e) & (g) | |
| 1209 | Midcon Polymers Pvt. Ltd. | Karnataka |
1.For the purpose of arriving at the value of rental income, whether the applicant can seek deduction of property taxes and other statutory levies. |
KAR/ADRG/48/2020 dated 16-09-2020 | 97(2)(c) | |
| 1210 | M/s B and R & Co | Madhya Pradesh |
Is Entry Tax allowing under Tran-1 provision of MPGST? |
MP/AAR/16/2020 Dated 15.09.2020 | 97(2) (d) |





