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Wheat crushing services provided to State Government eligible for exemption if ‘value of goods’ < 25% of value of supply

Bimal jain
Flour milling services for state government deemed composite supply; tax exemption under Notification No. 12/2017 applies. The Authority for Advance Ruling (AAR) in West Bengal determined that the services provided by a flour milling company to the State Government, involving the crushing of wheat and the addition of nutrients to atta, qualify as a composite supply where the principal supply is the crushing service. Since the value of goods involved in this supply is less than 25% of the total supply value, the company is eligible for a tax exemption under Sl. No. 3A of Notification No. 12/2017-Central Tax (Rate). This ruling aligns with the guidelines outlined in Circular No. 153/09/2021-GST. (AI Summary)

The AAR, West Bengal, in IN RE: M/S. ARYAN FLOUR MILLS PRIVATE LIMITED - 2023 (9) TMI 120 - AUTHORITY FOR ADVANCE RULING, WEST BENGALheld that, crushing of wheat and addition of nutrients in atta is a composite supply and the principal supply is crushing service. The service are provided to state government under Public distribution and since the value of goods involved in such composite supply does not exceed 25% of the value of supply thus, the Applicant is eligible for exemption under Sl. No. 3A of Notification No. 12/2017-Central Tax (Rate) dated June 28, 2017(“the service rate exemption notification”).

Facts:

M/s. Aryan Flour Mills Private Limited (“the Applicant”) is a floor miller,engaged in providing services of wheat crushing. As per the contract between the Applicant and the West Bengal State Government dated September 06, 2017 the Applicant will be provided with the wheat which is owned by the State Government, for conversion into fortified atta for distribution to public through Public Distribution System (PDS).

The Applicant thereafter is required to pack the crushed stock of whole wheat atta, which is later delivered to the Distributors for further distribution to the consumers.

The Applicant contended that the process of crushing does not amount to supply of goods rather it is a process carried out which is supply of services and addition of nutrients to the atta cannot be considered as a separate/ distinct supply of goods since, it is an integral part of the process of such conversion.

The Applicant has sought an advance whether it is eligible for exemption and if not what will be the value of supply and rate of tax applicable on supply of service.

Issue:

Whether the Applicant is eligible for exemption provided under Sl. No. 3A of the service rate exemption notification.

Held:

The AAR, West Bengal, in IN RE: M/S. ARYAN FLOUR MILLS PRIVATE LIMITED - 2023 (9) TMI 120 - AUTHORITY FOR ADVANCE RULING, WEST BENGALheld as under:

Further noted that, as per Circular No. 153/09/2021- GST dated June 17, 2021 entry No. 3A only apply to composite supply of milling of wheat and fortification thereof if the value of goods supplied in such composite supply does not exceed 25% of the value of composite supply.

(Author can be reached at [email protected])

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