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Construction of the Sulphate removal plant under the EPC Contract falls under SAC Heading No. 9954.

Bimal jain
Classification of EPC construction services under construction heading confirms GST rate applicability for sulphate removal plant. The AAAR held that EPC activities for construction of a Sulphate Removal Plant are not support services to oil and gas extraction nor exploration/mining services, and are properly classifiable under SAC Heading No. 9954 as construction services for mines and industrial plants; the deleted rate entry precluded reliance on the earlier rate and the supplies attract the tax rate prescribed for construction services in the amended CGST and corresponding SGST notifications. (AI Summary)

The Rajasthan AAAR, in In re ION Exchange (India) Ltd., [2024 (3) TMI 45 - APPELLATE AUTHORITY FOR ADVANCE RULING, RAJASTHAN]upheld the Ruling dated September 15, 2021 the AAR for Rajasthan, classifying the services provided by the Appellant under an Engineering, Procurement, and Construction (EPC) contract with M/s Vedanta Limited under SAC Heading No. 9954. The Appellant's arguments regarding the inclusive nature of the services covered under Heading 9986 were also dismissed.

Facts:

M/s. ION Exchange (India) Ltd. ('the Appellant'), a company engaged in water treatment and waste-water recycling, entered into an Engineering, Procurement, and Construction (“EPC”) contract with various industries, including thermal and nuclear power plants, fertilizer factories, refineries, and petrochemical industries, registered under the Central Goods And Services Act, 2017('the CGST Act”). The company filed an appeal before the Appellate Authority for Advance Ruling in Rajasthan against the ruling pronounced by the AAR, Rajasthan ('the Respondent') bearing2022 (2) TMI 1045 - AUTHORITY FOR ADVANCE RULING, RAJASTHAN(“the Impugned Order”).

The appeal pertains to the classification of services provided under an EPC Contract with M/s. Vedanta Limited. The Appellant contends that the services should be classified under SAC Heading No. 9986 or under SAC Heading No. 9983 of Notification No. 11/2017 Central Tax (Rate) dated June 28, 2017(“the CGST Rate Notification”). The Appellant contended that the activities performed are inextricably linked to petroleum operations and should be classified under a specific description rather than a general one. The appeal highlights the omission of a specific entry from the rate notification and the subsequent examination of the other aspects of the ruling concerning the description of the supply based on its nature and classification under the given heading to determine the appropriate rate of tax.

Additionally, the Appellant emphasizes that the scope of the activities covered under Heading 9986 is inclusive and not exhaustive. The Appellant also submitted additional grounds in support of their appeal, including the claim that the order seeks to classify the services provided under a non-existing entry of the rate notification. A personal hearing was held on January 11, 2022, and September 13, 2023, where the Appellant reiterated their submissions and provided additional grounds in support of their appeal. The Appellant also referred to the Rules of Interpretation under the United Nations Central Product Classification ('UNCPC') and the CBIC Circular 114/33/2019-GST dated October 11, 2019, to support their arguments.

Aggrieved by the AAR's Impugned Order, the appellant filed an Appeal under Section 100 of the Central Goods and Services Tax Act, 2017 (“the CGST Act”) read with Section 100 of the Rajasthan Goods and Services Tax Act, 2017(“the RGST Act”) before the Appellate Authority for Advance Ruling, Rajasthan.

Issue:

Whether the supplies in pursuance of the EPC Contract classifiable under SAC as contended by the appellant or AAR?

Held:

The Rajasthan AAAR, in 2024 (3) TMI 45 - APPELLATE AUTHORITY FOR ADVANCE RULING, RAJASTHAN, held as under:

  • Observed that, the classification under Heading 998621 pertains to 'support services to oil and gas extraction,' which implies services supporting the primary activity of oil and gas extraction requiring established infrastructure facilities. The activities conducted by the Appellant under the EPC Contract do not align with the definition of support services to oil and gas extraction and thus cannot be classified under SAC Heading No. 998621.
  • Opined that, services related to exploration, mining, or drilling of petroleum crude or natural gas are classified under Heading 9983, as clarified by Circular 114/33/2019-GST dated October 11, 2019. The services provided by the Appellant under the EPC Contract, involving the construction of various facilities, do not primarily entail mineral exploration or evaluation, hence not falling under SAC Heading No. 9983. The construction services proposed by the Appellant for executing the Sulphate Removal Plant are appropriately classified under SAC Heading No. 9954, which covers overall construction services, including those related to mining operations.
  • Noted that, Entry Sl. No. 3(ii) of the CGST Rate Notification No. 11/2017-CT(R) was omitted with effect from April 01, 2019 and, therefore, the supplies proposed to be undertaken by the Appellant could not have been eligible for the rate prescribed therein. However, it is observed that up to Notification No. 3/2019-Central Tax (Rate), dated March 29, 2019, major changes have been made in the said entry under Sl. No. 3 of the basic CGST Rate Notification to provide for different rates of tax for supplies under the categories of supply of construction services or supply of works contract services.
  • Held that, SAC Heading No. 9954 of the Scheme of Classification covers the overall construction services with SAC Heading No. 995425 the general construction services of mines and industrial plants. The explanatory notes clarify that the said service code includes construction services for mining and related facilities associated with mining operations. Since oil and gas exploration is also a form of mining; therefore, the construction services proposed to be supplied by the Appellant for execution of the Sulphate Removal Plant are appropriately classifiable under the SAC Heading No. 9954. the proposed supplies i.e., constructions of Sulphate Removal Plant attract a tax rate of 9% in terms of the item (xii) of Entry at Sl. No. 3 of the CGST Rate Notification, as amended, and 9% under the SGST Notification issued under the SGST Act.

(Author can be reached at [email protected])

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