| Sr. No. | Name of the Appellant | States/UT | Brief of Order in Appeal (OIA) | Order No. & Date | Download | Category |
|---|---|---|---|---|---|---|
| 411 | M/s Concrete Udyog LimitedUP | Uttar Pradesh |
Whether composite works contract services supplied to Uttar Pradesh Jal Nigam involving construction & design of prestressed concrete cylinder pipelines (PCCP) and pumping plant for the purpose of supplying water to the Khurja Sewrage Treatment Plant Project from the Mundakhera Reservoir to the pond of Khurja STPP along with all ancillary works such as development of roads/paths, drain septic Tanks, sewer line, water supply system, external electrification, service connection to building, etc would be covered under Entry 3(iii) of the Notification No. 11/2017-Central Tax (Rate) dated 28.06.2017 ? |
UP ADRG-08/2022 dated 28.07.2022 | 97(2)(a)&(b) | |
| 412 | M/s KDS Services (P) Ltd | Uttar Pradesh |
I) Whether the Project Development Service (i.e. Detailed Project Report Service and Project Management Consultancy services ('PMCS') provided by the applicant to the recipient under the Contract from District Urban Development Agency (herein after referred as “DUDA”) which is District Level Agency of State Urban Development Agency (SUDA) and the Project Management Consultancy services ('PMC") under the Contract for PMAY would qualify as an activity in relation to function entrusted to Panchayat or Municipality under Article 243G or Article 243W respectively, of the Constitution of India? II) If answer to first question is in affirmative then, whether such services provided by the applicant would qualify as Pure services (excluding works contract service or composite supplies involving supply of any goods) provided to the Central Government, State Government or Union territory or local authority or a Governmental Authority by way of any activity in relation to any function entrusted to a Panchayat under article 243G of the Constitution or in relation to any function entrusted to a Municipality under article 243W of the Constitution, as provided in serial number 3 of Notification No. 12/2017- Central Tax (Rate) dated 28 June, 2017, as amended (S. No. 3A) by Notification No. 2/2018- Central Tax (Rate) dated 25 January, 2018 issued under Central Goods and Services Tax Act, 2017 (CGST') and corresponding Notifications No. KA.N.I.-2-843/X1- 9 (47) / 17-UP. Act-1 - 2017 - Order - (10) - 2017 Lucknow, dated June 30, 2017 issued under Uttar Pradesh Goods and Service Tax Act, 2017 ('UPGST Act'), where the Project cost includes the cost of service rendered along with reimbursement of cost of procurement of goods for rendering such service, and, thus, be eligible for exemption from levy of CGST and UPGST, respectively. |
UP ADRG-09/2022 dated 28.07.2022 | 97(2)(a)&(b) | |
| 413 | Vikas Centre For Development | Gujarat |
1.Whether the activity of Afforestation, which includes the plantation of mangroves is exempted from GST under Sr. No.1 of Notification No.12/2017-CT (Rate)? |
GUJ/GAAR/R/2022/50 | 97(2) b,f | |
| 414 | M/S RAMESHWAR HAVELIA WITH TRADE M/S DOON VELLY LOGISTICS | Uttarakhand |
“Whether the Input Tax Credit on Inputs and Input Services received for development of the said infrastructure by the applicant is admissible to them or not”? |
UK-AAR-07/2022-23 dated 18.07.2022 | 97 (2)(d) | |
| 415 | M/s. Incnut Lifestyle Retail Private Limited | Telangana |
Whether the products manufactured by him under the licences issued by AYUSH department of Government of Telangana and sold as Ayurvedic products fall under HSN No. 30.04 or under HSN 3304 of the GST Tariff? |
TSAAR Order No. 46/2022 Dated 15.07.2022 | 97(2)(a) | |
| 416 | M/s. Power Solutions | Telangana |
GST rate of tax on TS Government, HMWSSB work contracts including material & services and services only. |
TSAAR Order No. 44/2022 Dated 15.07.2022 | 97(2)(a) | |
| 417 | M/s. Bollu Siva Gopala Krishna | Telangana |
M/s. Bollu Siva Gopala Krishna 1. Whether GST is applicable on Renting of an immovable property to a Recognized Educational institution (Which is not a commercial Activity) and which is also registered under section 12AA of the Income-tax Act, 1961 and which provides (i) Pre-School education and education up to higher secondary school or equivalent, (ii) Education as a part of a curriculum for obtaining a qualification recognized by any law for the time in force, (iii) Education as a part of an approved vocational education course; 2. Whether GST is applicable on Renting of an immovable property to a Government School. |
TSAAR Order No. 43/2022 Dated 15.07.2022 | 97(2)(a) | |
| 418 | M/s. Sandheera Infratech Private Limited | Telangana |
What is the geographical limit of the city of Hyderabad, Telangana as per Notification No.3 of 2019 – GST Rate? |
TSAAR Order No. 42/2022 Dated 15.07.2022 | 97(2)(b) | |
| 419 | Mr. Murthy Mohan Rao | Telangana |
1.Whether there is any GST liability to be paid by the developer with respect to the share of flats given to applicant in pursuance of development agreement dated: 28.04.2017? 2.If answer to (a) is yes, When the GST needs to be paid? 3.If answer to (a) is yes, the rate of GST to be applied? 4.If answer to (a) is yes, the taxable value to be taken for arriving the GST liability? |
TSAAR Order No.40/2022 Dated 15.07.2022 | 97(2)(e) | |
| 420 | M/s. KPC Projects Limited | Telangana |
1.In view of the services provided by the applicant to TSTDC., is the applicant eligible to avail the concessional rate of GST at 12% as prescribed in of S. No. 3 (vi) of the Notification No. 11/2017-Central Tax(Rate) dated 28.06.2017, as amended by? 2.If not, what is the appropriate rate and classification of GST to be charged by the applicant? |
TSAAR Order No.41/2022 Dated 15.07.2022 | 97(2)(b) |





