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Pre- fabricated shelters, tower, tower material are eligible for CENVAT Credit

Bimal jain
Telecom firm wins right to claim Cenvat credit on shelters and towers as essential inputs under CESTAT ruling. The CESTAT, Chandigarh ruled in favor of a telecom infrastructure company, allowing it to claim Cenvat credit on pre-fabricated shelters, towers, and related materials. These items are deemed essential inputs for providing telecommunication services. The decision overturned a previous order by the Adjudicating Authority, which had denied the credit based on the classification of these items as capital goods. The tribunal referenced prior judgments supporting the view that such materials qualify as inputs, enabling the company to avail of the credit. Consequently, the demand order against the company was set aside. (AI Summary)

The CESTAT, Chandigarh in TOWER VISION INDIA PRIVATE LIMITED VERSUS COMMISSIONER OF SERVICE TAX-DELHI - 2023 (9) TMI 358 - CESTAT CHANDIGARHset aside the demand order passed by the Adjudicating Authority and held that, Cenvat credit can be availed on pre-fabricated shelters, towers and tower material which form an essential ingredient in the provision of telecommunication service would qualify as inputs and input services. Accordingly, Cenvat credit will be allowed.

Facts:

M/s. Tower Vision India Private Limited (“the Appellant”) is engaged in providing telecom network infrastructure support services to various telecommunication companies providing mobile services.

The Revenue Department (“the Respondent”) conducted audit and found that the Appellant has wrongly availed the Cenvat Credit on Pre-fabricated Building (telecom shelter) and Towers, Tower materials, Tower structures which falls under CETH 94060091 & 730820190 by declaring these items as capital goods. Secondly, the Appellant has wrongly availed Cenvat credit of services utilized in relation to Pre-fabricated shelters and Towers as input service providing output service.

Accordingly, 2 Show Cause Notices first dated October 26, 2010 and second dated September 20, 2011 (“the SCN’s”) were issued by the Respondent.

Thereafter, the Adjudicating Authority vide an order dated October 09, 2012 (“the Impugned Order”) confirmed the demand of Cenvat credit.

Aggrieved by the Impugned Order the Appellant filed appeal before the CESTAT.

The Appellant contended that tower/tower material/telecom shelters are movable goods received in CKD condition by the Appellant and therefore, the Appellant is eligible to avail Cenvat credit. Moreover, these goods are considered movable therefore the supplier has paid Excise Duty, whose credit is availed by the Appellant.

Issue:

Whether the Cenvat credit on tower, tower material, shelters is available if the assessee provides telecom network infrastructure support services?

Held:

The CESTAT, Chandigarh in TOWER VISION INDIA PRIVATE LIMITED VERSUS COMMISSIONER OF SERVICE TAX-DELHI - 2023 (9) TMI 358 - CESTAT CHANDIGARHheld as under:

(Author can be reached at [email protected])

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