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Authority for Advance Ruling (AAR)

Sr. No. Name of the Appellant States/UT Brief of Order ­in ­Appeal (OIA) Order No. & Date Download Category
1601 Qatro Rail Tech Solutions Limited Karnataka

a) What is the rate of tax for the sub-contractors who executes the works contract work like supply of goods or services or both pertaining to Railways based on the order received from the main contractor who got the work order directly from Railways.
b) Does the rate of tax of 6% as per serial no.3(v) of Notification No.11/2017- Central Tax dated 28.06.2017 as amended, applicable to sub-contractors or not?

KAR/AAR/93/2019-20 dated 27.09.2019

(Size: 823.39 KB)

97 (2) (e)
1602 VE Commercial Vehicles Limited Karnataka

Whether Notification No.45/2017 – Central Tax (Rate) dated November 14th, 2017 is applicable on supply of trucks and its spare parts to Public Funded Research Institutions?

KAR/AAR/95/2019-20 dated 27.09.2019

(Size: 1.12 MB)

97 (2) (b)
1603 Juniper Networks Solution Private Limited Karnataka

Whether delivery of spares by JNSIPL, Karnataka (i.e. the applicant) would constitute a supply under Schedule I of the CGST Act, 2017, by the applicant to JNSIPL, Maharashtra?

KAR/AAR/96/2019-20 dated 27.09.2019

(Size: 659.64 KB)

97 (2) (e) (g)
1604 M.K. Agro Tech Pvt. Ltd Karnataka

Whether under Reverse Charge Mechanism, IGST should be paid by the importer on ocean freight on the case of CIF basis contract?

KAR/AAR/97/2019-20 dated 27.09.2019

(Size: 1.21 MB)

97 (2) (b) (e)
1605 Saravana Perumal Karnataka

The applicant is  a registered GTA, as per the Notification No.12/2017 – Central Tax (Rate) dated 28.06.2017. Can applicant hire vehicles to another GTA?

KAR/AAR/98/2019-20 dated 27.09.2019

(Size: 679.88 KB)

97 (2) (b) (e)
1606 Tata Coffee Limited Karnataka

a) Whether the legally binding and prescribed activity of depositing the timber / wood by the applicant with the Government Timber Depot for disposal as per the provision of Section 104 of the Karnataka Forest Act will constitute a “supply” and therefore subject to payment of GST for keeping the goods at the custody of the auctioneer i.e. Government Timber Depot?
b) If GST applicable on depositing timber with the auctioneer, on what value GST is chargeable in the invoice by the applicant?
c) Whether the payment of GST on the full amount by the auctioneer i.e. Government Depot, will be the complete discharge of liability in the hands of the applicant and hence the applicant is not required to charge any GST while depositing as well as receiving the net consideration from the auctioneer?
d) If the transaction is supply in the hands of the applicant, what is the time of supply of timber?
e) If the transaction is considered as “supply” in the hands of the applicant when consideration is not fixed / known at the time of supply, when would be the time of supply and when the applicant has to remit the tax on what value? This is especially where the Government Timber Depot decides the time of auction and the applicant does nothave any control on this process.
f) Should GST be paid by the applicant on supervision charges collected by the Government Timber Depot under Reverse Charge as per the Sl.No.5 of Notification No.13/2017?

KAR/AAR/99/2019-20 dated 27.09.2019

(Size: 1.17 MB)

97 (2) (e)
1607 Datacon Technologies Karnataka

We execute the work contract for customers, that is offset printing of Answer booklets, centre pinning and hand numbering, accordingly we have classified it under HSN Code No. 998912 attracting 12% GST however the other vendors for the said work seems to have applied slab rate of 18% and hence ruling is requested.

KAR/AAR/100/2019-20 dated 27.09.2019

(Size: 623.23 KB)

97 (2) (e)
1608 Sri Roopesh Kumar Karnataka

a) Whether the applicant has to charge GST for the service (providing Hydraulic excavator and ten wheeler tippers to transport RDF (inerts) from KCDC processing plant Bommanahalli to Bellahalli Land fill site near Yelahanka) done to government organization? If so at what rate?
b) Whether this service (providing Hydraulic excavator and ten wheeler tippers to transport RDF (inerts) from KCDC processing plant Bommanahalli to Bellahalli Land fill site near Yelahanka) done to government organizations is exempted by way of Entry No.3 of the Notification No 12/2017 which provides exemption to Pure service (Excluding works contract service or other composite supplies involving supply of any goods) provided to the Central Government, State  Government authority or Union territory or local authority or a Government Entity by way of any activity in relation to any function entrusted to a Panchayat under article 243 G of the constitution or in relation to any function entrusted to a Municipality under article 243 W of the Constitution?
c) Whether activity done by us is in relation to function entrusted to a municipality under 243W. Whether any exemption is available under GST in respect of service rendered by us to KRIDL (which is a Government Organization)?
d) Whether exemption is available under GST in respect of service rendered by us to KRIDL (Which is a Government Organization)?

KAR/AAR/101/2019-20 dated 27.09.2019

(Size: 1.07 MB)

97 (2) (e)
1609 M/s. Royal Care Speciality Hospitals Ltd Tamil Nadu

1.Whether the medicines, consumables and implants used in the course of providing health care services to in-patients for diagnosis or treatment would be considered as "Composite Supply" and accordingly eligible for exemption under the category "Health Care Services?"

2.Whether ITc is eligible for obligatory services provided to In-patients through outsourcing

TN/46/AAR/2019 dated 26.09.2019

(Size: 1.93 MB)

97(2)(a)
1610 M/s. Chennai Port trust Tamil Nadu

Whether on the facts and in the circumstances given in the application, when the time of supply can be considered to occur with respect to providing continuous supply of services in the nature of renting of immovable properties  in situations

TN/45/AAR/2019 dated 26.09.2019

(Size: 2.04 MB)

97(2)(c)