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Exemption from Service Tax if service provided to the trust registered under section 12AA of Income Tax Act 1961

Sudhir Kumar

A firm is registered under section 12AA of income Tax Act, 1961(43 of 1961). A client has provided the firm work contract services by way of construction of Higher Secondary Education Building. The client has sought exemption from Service Tax in light of the entry sl. no. 13(c) of the Exemption Notification No. 25/2012-ST dated 20.06.2012 giving reference to the CESTAT Final Order No. 51031/2022 dated 31.10.2022 - 2022 (11) TMI 47 - CESTAT NEW DELHI. But the department has denied the claim of the client and confirmed the demand citing that 13(c) of exemption notification mention about the exemption from those work contract services which were meant predominently for religious use by general public. Since, in the instant matter the client has provided work contract service by way of construction of Secondary School hence, the construction of School can not be correlated to the religious use go general public. Hence, exemption can not be extended to the client.

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Trust Challenges Service Tax Denial for Educational Building Construction Under Charitable Purpose Exemption Provisions A trust registered under section 12AA sought service tax exemption for constructing a Higher Secondary Education Building. The tax department denied the exemption, arguing that the construction does not qualify under the religious use provision. The dispute centers on interpreting Notification No. 25/2012-ST, specifically entry 13(c), with potential alternative arguments under charitable purpose exemptions for educational institutions. (AI Summary)
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