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Small Service providers are exempted from payment of service tax up to ₹ 10,00,000/-. Is they are really exempted?

SAKTHIVEL PONNUSWAMY
Small Service Providers Face Indirect Tax Burden Due to Reverse Charge Mechanism in Notification 30/2012 and 33/2012 Exemption Small service providers are exempt from paying service tax on turnovers up to 10,00,000 under notification 33/2012. However, the reverse charge mechanism (RCM) under notification 30/2012 requires service receivers to pay the full service tax, regardless of the provider's exemption. This creates a situation where small service providers, despite their exemption, indirectly bear the tax burden when their clients must pay the tax. The exemption does not apply to service receivers, but some relief is provided if their turnover is below 10,00,000. This duality challenges the notion of exemption for small providers. (AI Summary)

Interestingly in recent past many of the services are pushed under notification 30/2012 dated 26-12-2012 for reverse charge mechanism. By doing so Government is achieving the following:-

  1. Collection of revenue is easy
  2. One side can announance exemption from service tax up to ₹ 10,00,000/- by saying small service providers and
  3. Other side it can collect revenue on the same by inserting the provisions stating that nothing contained in this notification shall apply to, such value of taxable services in respect of which service tax shall be paid by such person and in such manner as specified under sub-section (2) of section 68 of the said Finance Act read with Service Tax Rules,1994.Which means payable under reverse charge mechanism.

Presently the following are the services covered under both “ under notification No.33/2012” i.e exempted from service tax up to ₹ 10,00,000/- and taxable under “notification No.30/2012” i.e covered under reverse charge mechanism.

Sl.No

Description of a service

Percentage of service tax payable by the person providing service

Percentage of service tax payable by any person liable for paying service tax other than the service provider]

1

in respect of services provided or agreed to be provided by an insurance agent to any person carrying on insurance business

Nil

100%

2

in respect of services provided or agreed to be provided by a recovery agent to a banking company or a financial institution or a non-banking financial company

Nil

100%

3

in respect of services provided or agreed to be provided by a mutual fund agent or distributor, to a mutual fund or asset management company

Nil

100%

4

in respect of service provided or agreed to be provided by a selling or marketing agent of lottery tickets to a lottery distributor or selling agent

Nil

100%

5

in respect of services provided or agreed to be provided by a goods transport agency in respect of transportation of goods by road

Nil

100%

6

in respect of services provided or agreed to be provided by way of sponsorship

Nil

100%

7

in respect of services provided or agreed to be provided by an arbitral tribunal

Nil

100%

8

in respect of services provided or agreed to be provided by individual advocate or a firm of advocates by way of legal services

Nil

100%

9

in respect of services provided or agreed to be provided by a director of a company or a body corporate to the said company or the body corporate]

Nil

100%

10

in respect of services provided or agreed to be provided by Government or local authority by way of support services excluding,- (1) renting of immovable property, and (2) services specified in sub-clauses (i), (ii) and (iii) of clause (a) of section 66D of the Finance Act,1994

Nil

100%

11

(a) in respect of services provided or agreed to be provided by way of renting of a motor vehicle designed to carry passengers on abated value to any person who is not engaged in the similar line of business

Nil

100 %

12

in respect of services provided or agreed to be provided by way of supply of manpower for any purpose [or security services]

Nil

100%

13

in respect of any taxable services provided or agreed to be provided by any person who is located in a non-taxable territory and received by any person located in the taxable territory

Nil

100%

14

in respect of any service provided or agreed to be provided by a person involving an aggregator in any manner

Nil

100%

 

Some of the cases it may happen that both service receiver and service provider are covered under notification 33/2012 , that is both of their turnover are less than ₹ 10,00,000/-. In this case the service receiver has to pay service tax on the service provider service even though his taxable service is less than the exemption limit.

In this case small service provider is getting additional burden under this notification instead of getting exemption from payment of service tax. If this is the case how the notification says the small service providers are getting exemption under this notification?


Thanks and Regards,

SAKTHIVEL PONNUSWAMY M.Com, ACA

68, Green Garden, Avalapalli Road, Hosur, Tamil Nadu - 635109

Mobile: +91-9600242441

Disclaimer: The contents of this document are solely for informational purpose. It does not constitute professional advice or recommendation of author. Author never accepts any liabilities for any loss or damage of any kind arising out of any information in this document nor for any actions taken in reliance thereon.

Readers are advised to consult the professional for understanding and applicability of this newsletter in the respective scenarios. While due care has been taken in preparing this document, the existence of mistakes and omissions herein is not ruled out. No part of this document should be distributed or copied (except for personal, non-commercial use) without author’s written permission.

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