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GST AAR on Supply of online educational journals or periodicals

Ganeshan Kalyani
Online Educational Journals Exempt from GST; M/s. Manupatra's Services Subject to 18% GST Per Notification 12/2017 The Authority for Advance Ruling (AAR) in Uttar Pradesh ruled that the supply of online educational journals or periodicals to educational institutions is exempt from GST under entry 66(b)(v) of Notification no.12/2017, as amended. However, M/s. Manupatra Information Solutions Private Limited, which provides online text-based information such as e-books and directories, is not covered under this exemption. The AAR determined that their services do not qualify as online educational journals or periodicals, and therefore, an 18% GST is applicable on their services. The ruling clarified the tax applicability for such services. (AI Summary)

Notification no.12/2017-CTR dated 28.06.2017 provides the list of supply that are exempted under the CGST Act. This notification was amended vide Notification no.02/2018-CTR dated 28.01.2018 to insert clause (v) under entry 66(b) to exempt the supply provided to an educational institution by way of “supply of online educational journals or periodicals”.

In view of said amendment the applicant, M/s. Manupatra Informations Solutions Private Limited sought an advance ruling on –

  • whether GST is applicable on ‘’service provided to an educational institution by way of supply of online educational journals or periodicals”.

The applicant is providing on-line text based information such as online books, newspaper, periodicals, directories (judgments/Notification/Bare Acts/Rules/E-Books/News/Articles etc) through their website to law firms, lawyers, companies, government, judiciary, law schools. Their client includes the following:

  1. Banaras Hindu University
  2. National Law School of India University, Bangalore
  3. Aligarh Muslim University Aligarh
  4. RML National Law University, Lucknow
  5. IIM, Kolkata
  6. IIM, Bangalore

The applicant is of the view that 18% GST is applicable on service of on-line text based information provided to above mentioned institutions. However, their other competitors are referring to clause (v) of entry 66(b) supra “supply of online educational journals or periodicals” and does not charge GST. In order to seek clarity on applicability of tax applicant has approached for Advance Ruling before Authority for Advance Ruling Goods and Services Tax, Uttar Pradesh on 01.09.2021.

The application for advance ruling was forwarded to the Jurisdictional GST Officer seeking their views on this matter.

The Jurisdictional Officer submitted, inter-alia, that the –

  1. applicant has obtained registration for services as ‘On-line text based information such as online books, newspaper, periodicals, directories’ and the applicant are providing the said services only.
  2. These services are not covered in the entry 66(b)(v) of Notification no.12/2017 as amended vide Notification no. 02/2018.
  3. The applicant are not supplying online educational journals or periodicals as such the said supply is not nil rated and chargeable to 18%.

AAR, UP is of the view that the nil rate of tax is applicable only on supply of online educational journals or periodicals under entry no. 66(b)(v) of the Notification no.12/2017 as amended and this entry does not include supply of e-books, newspapers, directories and non-educational journals or periodicals.

The applicant charges subscription fees to provide access to the database by mentioning on invoice as ‘Annual subscription for online database access’. This means applicant is not providing supply of online educational journals or periodicals. So, in the considered view of the AAR, the service supplied by applicant does not fall under exemption entry of 66(b)(v) and therefore tax GST @18% is applicable.

Reference: IN RE: M/S. MANUPATRA INFORMATION SOLUTIONS PRIVATE LIMITED [2022 (2) TMI 828 - AUTHORITY FOR ADVANCE RULING, UTTAR PRADESH]

Ruling passed on 25.11.2021

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