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GST @12% leviable on contract w.r.t. construction of new railway sidings

Bimal jain
Private Company's Railway Siding Construction Taxed at 12% GST as 'Original Works' per AAR Ruling The Authority for Advance Ruling (AAR) in West Bengal ruled that the construction of new railway sidings by a private company is subject to a 12% Goods and Services Tax (GST). The company, contracted by a public sector entity under the Ministry of Railways, argued that their work qualifies as a composite supply of works contract related to railways, thus attracting a 12% GST rate under the Services Rate Notification. The AAR confirmed this interpretation, stating the construction qualifies as 'original works' and is taxable at 12% until the relevant provision's omission effective July 18, 2022. (AI Summary)

The AAR, West Bengal  in the matter of IN RE: M/S. TRIVENI ENGICONS PRIVATE LIMITED - 2023 (1) TMI 182 - AUTHORITY FOR ADVANCE RULING, WEST BENGAL  has ruled that the construction work carried out by the assessee of new private sidings pertains to the railways and GST @12% will be applicable on contracts for such construction, until the omission of Sl. No. 3(v)(a) of the Notification No. 11/2017 – Central Tax Rate dated June 28, 2017 (“the Services Rate Notification”) w.e.f. July 18, 2022.

Facts:

Triveni Engicons Private Limited (“the Applicant”) is a private incorporation engaged in the execution of works contract services. The applicant was awarded a contract by M/s Rites Limited, a Public Sector Undertaking under the Ministry of Railways on behalf of the Eastern Coalfields Limited (“ECL”) dated March 29, 2021. The Applicant’s work included construction of new railway sidings at Jhanjha area of ECL.

The Applicant contended that the aforementioned work may be considered as composite supply of works contract as defined in Section 2(119) of the Central Goods and Services Tax Act, 2017 (“the CGST Act”) which is supplied by way of construction of original works pertaining to railways and therefore would be taxable at 12% GST as per SI. 3(v)(a) of the Services Rate Notification. Further, it was contended that work executed by the Applicant falls under the definition of original works as mentioned in clause 2(zs) of Notification No. 12/2017-Central Tax (Rate) dated June 28, 2017 (“the Services Exemption Notification”).

The Revenue contended that the work was related to the construction of a private railway siding and hence it was commercial in nature. The railway siding was constructed for carriage of goods of private parties and not for public carriage, so it was not “pertaining” to railways. The construction of rail infrastructure facilities other than railways fall under serial no. 3(xii) of the Services Rate Notification and hence the GST at 18% will be applicable.

Issues:

  1. Whether the supply made by the Applicant would attract GST @12% or 18% under the Services Rate Notification?
  2. Whether the work awarded can be covered under the definition of Works Contract as defined under Section 2(119) of the CGST Act?
  3. Whether the rate of tax for the construction of rail infrastructure facilities will be under Sl. No. 3(v)(a) or Sl. No.3(xii) of the Services Rate Notification?
  4. Whether the said work can be considered as works contract pertaining to railways?

Held:

The AAR, West Bengal in IN RE: M/S. TRIVENI ENGICONS PRIVATE LIMITED - 2023 (1) TMI 182 - AUTHORITY FOR ADVANCE RULING, WEST BENGAL  held as under:

  • Noted that, the SI. No. 3(v)(a) of the Services Rate Notification has been omitted w.e.f. July 18, 2022 vide Notification No. 03/2022- Central Tax (Rate) dated July 13, 2022 (“Notification No. 03”).
  • Opined that, the work was in relation to an immovable property and also involved the transfer of property in goods. Hence, it qualified to be a ‘works contract’ as defined in Section 2(119) of the CGST Act.
  • Stated that, the construction work was in connection to new railway sidings, hence, the work will be considered as ‘original works’ as defined in clause 2 (zs) of the Services Exemption Notification.
  • Opined that, the construction work carried out by the Applicant of new private sidings pertains to the railways.
  • Held that, according to the definition of a works contract in Section 2(119) of the CGST Act, the contract for the construction of a new railway siding would be taxable at 12% vide Sl. No. 3(v)(a) of the Services Rate Notification until the omission w.e.f. July 18, 2022.

Relevant Provisions:

Section 2(119) of the CGST Act:

“(119) “works contract” means a contract for building, construction, fabrication, completion, erection, installation, fitting out, improvement, modification, repair, maintenance, renovation, alteration or commissioning of any immovable property wherein transfer of property in goods (whether as goods or in some other form) is involved in the execution of such contract;”

Clause 2 (zs) of the Services Exemption Notification:

“(zs) “original works” means- all new constructions;

(i)   all types of additions and alterations to abandoned or damaged structures on land that are required to make them workable;

(ii)   erection, commissioning or installation of plant, machinery or equipment or structures, whether pre-fabricated or otherwise;”

(Author can be reached at [email protected])

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