| Sr. No. | Name of the Appellant | States/UT | Brief of Order in Appeal (OIA) | Order No. & Date | Download | Category |
|---|---|---|---|---|---|---|
| 1571 | M/s Vertiv Energy Private Limited | Maharashtra |
1. Whether the contract entered into with DMRC for supply, erection, installation, commissioning and testing of UPS system qualifies as a supply of works contract under Section 2(119) of the CGST Act? 2. If yes, whether such supply made to DMRC would be taxable at the rate of 12% in terms of Sr. no. 3(v) of Notification No. 11/2017 - C.T. (Rate), as amended w.e.f. 25.1.2018? |
GST-ARA- 17/2019-20/B- 107 Mumbai dated 04.10.2019 | 97(2)(a)(e) & (g) | |
| 1572 | M/s Jotun India Pvt Ltd | Maharashtra |
Whether recovery of 50% of Parental Health Insurance Premium from employees amounts to "supply of service" under Section 7 of the Central Goods and Services Tax Act, 2017? |
GST-ARA- 19/2019-20/B- 108 Mumbai dated 04.10.2019 | 97(2)(e)& (g) | |
| 1573 | M/s Children Of The World India Trust | Maharashtra |
Whether the activities conducted by The Children of the World (India) Trust are the "Charitable Activities” exempted under the Notification No.12/2017- Central Tax (Rate) dated 28.06.2017 as amended and consequently, the receipt of the Adoption Fees paid under Regulation 46 of the Adoption Regulations, 2017 by the Prospective Adoptive Parents to the Trust is exempted from the levy of Goods and Services Tax |
GST-ARA- 15/2019-20/B- 110 Mumbai dated 04.10.2019 | 97(2)(b) | |
| 1574 | M/s Rotary Club of Mumbai Western Elite | Maharashtra |
The amount collected by Rotary club is towards convenience of members and pooled together for paying meeting expenses, communication expenses, RI per capita dues, subscription fees to the Rotarian or Rotary regional magazine, district per capita assessment and the same is deposited in single bank account. As there is no furtherance of business in this activity and neither any services are rendered nor are any goods being traded, whether the above transaction can be considered as supply of goods or services to its Members under GST? |
GST-ARA- 09/2019-20/B- 105 Mumbai dated 04.10.2019 | 97(2)(f) | |
| 1575 | M/s T and D Electricals | Rajasthan |
1. Admissibility of ITC of Tax paid or deemed to have been paid; |
RAJ/AAR/2019-20/21 dated 03.10.2019 | 97(2)(d)& (f) | |
| 1576 | Embassy Industrial Park Private Limited | Karnataka |
“Whether input GST credit can be availed by the applicant on the inputs i.e. Electrical Works, Pumps, Pumping systems and tanks, Lighting system, Physical security system and Fire System” |
KAR/AAR/109/2019-20 dated 30.09.2019 | 97 (2) (d) | |
| 1577 | Hindustan Coca-cola Beverages Pvt. Ltd. | Karnataka |
“Whether “FANTA FRUITY ORANGE” product proposed to be manufactured is classified under Chapter Heading 2202 99 20 at Sl. No. 48 under Schedule II as “Fruit pulp or fruit juice based drinks”, or under Chapter 2202 99 90 at Sl.No. 24A under Schedule III as “Other Non-alcoholic beverages” or under 2202 10 at Sl.No.12 under Schedule IV as “all goods [including aerated waters], containing added sugar or other sweetening matter or flavoured” under Notification No.1/2017- Central Tax (Rate) dated 28.06.2017 (as amended)”. |
KAR/AAR/117/2019-20 dated 30.09.2019 | 97 (2) (a) | |
| 1578 | Manipal Energy & Infratech Ltd | Karnataka |
Whether entry 3(vi)(a) to Notification No.8/2017 –Integrated Tax (Rate) is applicable for services provided to Electricity Supply Companies (wholly owned Government of Karnataka undertakings) by way of construction, erection, commissioning, installation, completion, etc., which attracts levy of 12%. |
KAR/AAR/111/2019-20 dated 30.09.2019 | 97 (2) (b) | |
| 1579 | Hewiett Packard Enterprises India Private Limited | Karnataka |
a) Whether the proposed activity of setting –up of the data centre facilities as explained proposed to be under taken by the applicant would qualify as “works contract “ as per section 2(119) of the Central Goods and Service Tax Act 2017 and Section 2(119) of the Karnataka Goods and Service Tax Act 2017 ? |
KAR/AAR/121/2019-20 dated 30.09.2019 | 97 (2) (e) | |
| 1580 | Solarsys Non-conventional Energy Private Limited | Karnataka |
a) Whether in case of separate contracts for supply of goods and services for a solar power plant, there would be separate taxability of goods as 'Solar Power Generating System' at 5% and services at 18%. |
KAR/AAR/120/2019-20 dated 30.09.2019 | 97 (2) (e) |





