Deduction u/s 80P(2)(a)(i) and 80P(2)(d) on bank interest remanded for AO's verification, including classification of compulsory investments and relat...
AAR held that the applicant's supply of "Fresh Waste Processing" machinery to Anand Municipal Corporation constitutes a supply of goods only, falling under Chapter 84 (HSN 8479, 8428, 8462, 8474) of the GST Tariff. As there is no provision of "pure services" nor a composite supply where goods do not exceed 25% of the value, the exemption under Sl. No. 3 or 3A of Notification No. 12/2017-CT(R) is inapplicable. Consequently, the transaction is taxable as a supply of goods to a local authority, chargeable to GST at 18% on the machinery supplied.
AAR held that the applicant's supply of "Fresh Waste Processing" machinery to Anand Municipal Corporation constitutes a supply of goods only, falling under Chapter 84 (HSN 8479, 8428, 8462, 8474) of the GST Tariff. As there is no provision of "pure services" nor a composite supply where goods do not exceed 25% of the value, the exemption under Sl. No. 3 or 3A of Notification No. 12/2017-CT(R) is inapplicable. Consequently, the transaction is taxable as a supply of goods to a local authority, chargeable to GST at 18% on the machinery supplied.
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