| Sr. No. | Name of the Appellant | States/UT | Brief of Order in Appeal (OIA) | Order No. & Date | Download | Category |
|---|---|---|---|---|---|---|
| 931 | Global Gruh Udyog | Gujarat |
Q.What will be the classification of the goods intended to be produced such as Puripapad and Unfried papad? |
GUJ/GAAR/R/21/2021 dated 08.07.2021 | 97(2)(a) | |
| 932 | M/s. Foods and Inns Limited | Andhra Pradesh |
i) Can the Mango Pulp/puree be treated as fresh fruit and exemption be claimed on it? If not whether the mango pulp/puree falls under the heading 20079910 or 0804 or 2008? |
AR No.16 /AP/GST/2021 dated:07.07.2021 | 97(2)(a) | |
| 933 | M/s. Rotary Club of Bombay Pier | Maharashtra |
1. Whether the amount collected as membership subscription and admission fees from members is liable to GST as supply of services? 2. If the above receipts are liable to GST can the Club claim Input tax credit of the tax paid on Banquet and catering services for holding members meetings and various events? |
GST-ARA- 29/2020-21/B-43 Mumbai dated 04.08.2021 | 97(2)(d),(e),(f) & (g) | |
| 934 | Airbus Group India Private Limited | Karnataka |
"Whether the activities carried out in India by the Applicant would constitute a supply of "Other support services" falling under HSN code 9985 or as "Intermediary service" classifiable under HSN code 9961/9962 or any other classification of services as specified under various Tariff entries of rate notification issued under Goods and Services Tax Las? |
KAR/ADRG/31/2021 dated 01-07-2021 | 97(2)(a)&(e) | |
| 935 | M/s. Tripcon Engineering Pvt Ltd | Gujarat |
Sprocket is classified under HSN 848390 tariff subheading |
GUJ/GAAR/R/17/2021 dated 30.06.2021 | 97(2) (a) (e) & (g) | |
| 936 | M/s. Vadilal Industries Ltd | Gujarat |
1.‘Paratha’ merits classification at HSN 21069099. |
GUJ/GAAR/R/20/2021 dated 30.06.2021 | 97(2)(a) & (b) | |
| 937 | M/s. Perstorp Industries India Pvt Ltd. | Gujarat |
withdrawal |
GUJ/GAAR/ADM/2021/03 dated 30.06.2021 | - | |
| 938 | M/s. ARINEM CONSULTANCY SERVICES PVT Ltd | Uttar Pradesh |
Q-1 We hold that the Services rendered under the Contract with State Urban Development Agency, Uttar Pradesh (SUDA) , and for PMAY are in relation to Functions Entrusted to Municipalities under Article 243 W and to Panchayats under Article 243 G of the Constitution of India. Ans-1 Such services would Qualify as Pure Service (excluding works Contract Service or other Composite Supplies involving Supply of any Goods)” and accordingly exempt from the payment of GST duty Covered in SI. No 3 of Notification No. 12/ 2017 Central Tax (RATE) , DATED 28th June , 2017 issued under Central Goods and Services Tax Act, 2017 (CGST / Act), And Corresponding Notification issued under Uttar Pradesh Goods and Services Tax Act, 2017 (UPGST Act). |
UP_AAR_81 dated 30.06.2021 | 97(2)(b) | |
| 939 | M/s. Tirupati Construction | Gujarat |
Whether the activity of composite supply of works contract service by way of construction of fish market for the Panchayat(Road and Building) Division, Valsad District Panchayat merits classification at Serial Number 3(vi)(a) of Notification No.11/2017-Central Tax(Rate) dated 28-6-17(hereinafter referred to as said NT)?” Ans. The subject Supply is eligible for 12% GST (6% CGST; 6% SGST) vide Serial Number 3(vi) (a) of said NT (as amended from time to time). |
GUJ/GAAR/R/19/2021 dated 30.06.2021 | 97(2)(a) | |
| 940 | M/s. Talod Food Products Private Limited | Gujarat |
withdrawal |
GUJ/GAAR/ADM/2021/02 dated 30.06.2021 | - |





