Place-of-supply rules make embarkation decisive for continuous international air journeys, while transporting deceased persons remains outside GST.
Place-of-supply rules for international passenger air transportation attach to the passenger's place of embarkation where the journey is continuous. A short transit in India that lacks the features of a stopover does not interrupt the journey. Passenger travel embarking outside India, including foreign-to-India and foreign-to-foreign journeys with short Indian transit, falls outside GST; travel embarking in Kolkata for a foreign destination, including through short transit, is an intra-State taxable supply. Scheduled passenger services fall under SAC 996425. Transportation of human remains is excluded from the scope of supply as a funeral, burial, crematorium or mortuary service, including transportation of the deceased, and is not liable to GST.
Issues: (i) Place of supply, classification, and GST liability of international passenger air transportation based on embarkation and continuous journeys involving short transit stops; (ii) Whether air transportation of human remains is a taxable supply under GST.
Issue (i): Place of supply, classification, and GST liability of international passenger air transportation based on embarkation and continuous journeys involving short transit stops.
Analysis: Section 12(9) of the Integrated Goods and Services Tax Act, 2017 applies where both supplier and recipient are in India and, for an unregistered passenger, fixes the place of supply at the place of embarkation. Section 13(10) applies where either supplier or recipient is outside India and likewise fixes the place of supply at embarkation. A short transit stop, without the attributes of a stopover, does not interrupt a continuous journey within Section 2(3). The airline's scheduled passenger services fall under SAC 996425.
Conclusion: Passenger journeys embarking outside India, including foreign-to-India journeys and foreign-to-foreign continuous journeys with a short transit in India, are outside GST. Journeys embarking in Kolkata, including continuous journeys from India to a foreign destination through a short transit, are intra-State supplies taxable at the notified CGST and WBGST rates. This issue is decided substantially in favour of the assessee.
Issue (ii): Whether air transportation of human remains is a taxable supply under GST.
Analysis: Section 7 of the Central Goods and Services Tax Act, 2017 excludes activities specified in Schedule III from the scope of supply. Clause 4 of Schedule III expressly covers funeral, burial, crematorium and mortuary services, including transportation of the deceased.
Conclusion: Transportation of human remains is neither a supply of goods nor a supply of services and is not liable to GST. This issue is decided in favour of the assessee.
Final Conclusion: GST treatment of international passenger carriage is governed by the passenger's place of embarkation, and a short transit does not break the continuity of the journey; transportation of deceased persons remains outside the scope of supply.
Ratio Decidendi: For passenger transportation, the statutory place-of-supply rule attaches to the place of embarkation for a continuous journey, and a short transit without a stopover does not alter that place; transportation of the deceased is excluded from supply by Schedule III.