| Sr. No. | Name of the Appellant | States/UT | Brief of Order in Appeal (OIA) | Order No. & Date | Download | Category |
|---|---|---|---|---|---|---|
| 141 | M/s Yougesh Charan | Rajasthan |
Q.-Whether the input tax credit of tax charged by the supplier on bio fuel/ fuel oil/ blended biofuel will be available to the applicant, whereby such bio fuel/ fuel oil/ blended biofuel shall be used by the applicant in providing the transportation services? Ans.- Application has been withdrawn |
RAJ/AAR/2023-24/07 Dated 10.08.2023 | 97(2) (d) | |
| 142 | M/s. Sai Service Pvt. Limited | Telangana |
Whether the applicant is entitled to avail the input tax credit charged on inward supply of motor vehicle which are used for demonstration purpose in the course of business of supply of motor vehicle as input tax credit on capital goods? |
TSAAR Order No. 13/2023 & Date. 01.08.2023 | 97(2) (d ) | |
| 143 | M/s. Isha Foundation | Karnataka |
i. Whether the Education being provided by the applicant is exempt under Entry No.57 of Notification No.9/2017-Integrated Tax (Rate) dated 28th June 2017? |
KAR ADRG 23/2023 dt. 13.07.2023 | 97(2)(b) | |
| 144 | M/s. Sirimiri Nutrition Food Products Private Limited | Karnataka |
c) If the 'supply of electrical energy' and 'service charges' are treated as two different components, then whether the 'supply of electrical energy' is exempt as per serial number 104 of Notification No.2/2017-Central Tax (Rate), dated 28-06-2017 (HSN 2716 00 00) and 'service charges' is taxable as per Notification No.11/2017-Central Tax (Rate), dated 28-06-2017; |
KAR ADRG 26/2023 dt. 13.07.2023 | 97(2)(a) | |
| 145 | M/s. Interviewbit Software Services Private Limited | Karnataka |
i. What is the applicable GST on the services provided by the applicant under the "Market led Fee-based Services Scheme"? |
KAR ADRG 21/2023 dt. 13.07.2023 | 97(2)(a) and 97(2)(e) | |
| 146 | M/s. Srisai Luxurious Stay LLP | Karnataka |
b) Whether the 'supply of electrical energy' and 'service charges'-both components-to be treated as 'supply of service' as held by the Ministry of Power, vide its clarification dated 13-04-2018; and |
KAR ADRG 25/2023 dt. 13.07.2023 | 97(2)(b) and (e) | |
| 147 | M/s. P.K.S Centre for Learning | Karnataka |
i. Classification of the goods traded by the dealer "Agricultural Hand Tools such as "Manual Extension Pole for Coconut and Arecanut Harvesting" |
KAR ADRG 22/2023 dt. 13.07.2023 | 97(2)(a) | |
| 148 | M/s. Chamundeswari Electricity Supply Corporation Limited | Karnataka |
a) Whether charging of electric battery-which involves two components-is an activity of 'supply of electrical energy' (as supply of goods) and 'service charges' (as supply of service); or |
KAR ADRG 24/2023 dt. 13.07.2023 | 97(2)(a),(b),(d),(e) and (g) | |
| 149 | M/s. Pooja Construction Co | Gujarat |
(i) Whether the applicant is required to obtain registration with State Tax Authorities of Madhya Pradesh State (ii)Tax Rate that will be applicable for providing the above service (iii) SAC code applicable for providing above service under Work Contract |
GUJ/GAAR/R/2023/27 Dt. 12/07/2023 | 97 (2) (b) (f) | |
| 150 | M/s.Hilti Manufacturing India Pvt Ltd | Gujarat |
(i) Whether the services provided by the applicant to the entities located outside India is covered under Section 13(2) of the Integrated Goods and Services Tax Act, 2017? (ii) Whether the services provided by the applicant is liable to Central Goods and Service Tax and State Goods and Service Tax or Integrated Goods and Services Tax or is it eligible to be treated as a zero rated supply under Section 16 of the Integrated Goods and Services Tax Act, 2017. |
GUJ/GAAR/R/2023/26 Dt. 12/07/2023 | 97 (2) (e)(g) |





