Loading...

Top
Help
×

By creating an account you can:

Logo TaxTMI
Call Us / Help / Feedback

Contact Us At :

E-mail: [email protected]

Call / WhatsApp at: +91 99117 96707

For more information, Check Contact Us

FAQs :

To know Frequently Asked Questions, Check FAQs

Most Asked Video Tutorials :

For more tutorials, Check Video Tutorials

Submit Feedback/Suggestion :

Email :
Please provide your email address so we can follow up on your feedback.
Category :
Description :
Min 15 characters 0/2000
Make Most of Text Search
  1. Checkout this video tutorial: How to search effectively on TaxTMI.
  2. Put words in double quotes for exact word search, eg: "income tax"
  3. Avoid noise words such as : 'and, of, the, a'
  4. Sort by Relevance to get the most relevant document.
  5. Press Enter to add multiple terms/multiple phrases, and then click on Search to Search.
  6. Text Search
  7. The system will try to fetch results that contains ALL your words.
  8. Once you add keywords, you'll see a new 'Search In' filter that makes your results even more precise.
  9. Text Search
Add to...
You have not created any category. Kindly create one to bookmark this item!
Create New Category
Hide
Title :
Description :
❮❮ Hide
Default View
Expand ❯❯
Close ✕
🔎 News - Adv. Search
TEXT SEARCH:

Press 'Enter' to add multiple search terms. Rules for Better Search

Search In:
Main Text + AI Text
  • Main Text
  • Main Text + AI Text
  • AI Text
Category: ?
Categorized by AI
---- All Categories ----
  • ---- All Categories ----
  • Income Tax
  • GST
  • Customs, DGFT & SEZ
  • FEMA & RBI
  • Corp. Laws, SEBI & IBC
  • PMLA, Black Money & ED
  • Budget
  • News and Press Release
  • PTI News
Month:
---- All Months ----
  • ---- All Months ----
  • January
  • February
  • March
  • April
  • May
  • June
  • July
  • August
  • September
  • October
  • November
  • December
Year:
---- All Years ----
  • ---- All Years ----
  • 2026
  • 2025
  • 2024
  • 2023
  • 2022
  • 2021
  • 2020
  • 2019
  • 2018
  • 2017
  • 2016
  • 2015
  • 2014
  • 2013
  • 2012
  • 2011
Sort By: ?
In Sort By 'Default', exact matches for text search are shown at the top, followed by the remaining results in their regular order.
Relevance Default Date
    No guidelines to regulate online astrology platforms: Consumer affairs department to CIC
    Yellow.ai, a Global Leader in Enterprise Agentic AI, to Go Public via $550 Million Merger with Bluerock Acquisition Corp.
    Shri Piyush Goyal Invites Indian and Uzbek Businesses to Co-invest and Co-manufacture; Calls for Doubling Bilateral Trade at India-Uzbekistan Business...
    Every ₹1 invested under Kisan Credit Card– Modified Interest Subvention Scheme (KCC-MISS) contributes ₹2.30 to net value addition in the...
    India achieves near-universal banking coverage, with 99.92% of inhabited villages now served by a banking outlet
    Rupee rises for 6th day, gains 12 paise to 95.31 against US dollar as crude drops
    ACE Software Posts Earnings Turnaround; Standalone Profit Before Tax Up 43% YoY
    Rajya Sabha passes bill to tackle payment delays faced by MSMEs amid Opposition protests
    MPC's 3-day meeting begins amid expectations of status quo on interest rates
    Trane Technologies Reports Strong Second Quarter Results; Raises Full-Year Revenue and EPS Guidance
    CBN dismantles inter-state counterfeit drug network in Bihar under Operation Vajra; mastermind arrested
    DRI seizes quantities of gold; drugs, e-cigarettes and other contraband in pan-India Ops; 20 persons, including 5 foreign nationals, arrested
    Union Government releases tax devolution of ₹1,09,019 crore to State Governments, as one advance instalment to accelerate their capital and deve...
    Raymond Lifestyle Limited Delivered a stable Q1 FY27 Performance
    Rupee rises 31 paise to 95.12 against US dollar in early trade
    Customs seizes 8 kg gold worth over Rs 11 cr at Kerala airports in one week
    Drill, Baby, Drill: India to fund Rs 650 cr per well for 60 deepsea wells to break its oil import habit
    Punjab GST revenue rises 20 pc to Rs 10,447 crore in April-July: Cheema
    India-China trade through Shipli La resumes after six years
    Odisha's export can reach USD 50 billion by FY 2029-30: Study
❯❯
Maximize Maximize Maximize
0 / 200
Expand Note
Add to Folder

No Folders have been created

+

Are you sure you want to delete "My most important" ?

NOTE:

News
Showing Results for :
Reset Filters
Results Found:
Show All Summaries Hide All Summaries
August 3, 2026
Show AI Summary
Online Astrology Platform Regulation: consumer department reported no guidelines, while information requests required revised factual disclosures.
Online astrology platforms were reported as lacking specific regulatory guidelines within the consumer affairs department. The RTI application sought information on alleged unfair trade practices, investigations, complaints, licences, approvals, and applicable rules. The National Consumer Helpline stated that it had not investigated because it functions as a grievance-resolution platform. A revised factual response was required on investigations and complaint data, while queries concerning regulation, licences, approvals, and related investigations were to be transferred to the public authorities likely to hold that information.
August 3, 2026
Show AI Summary
Business combination disclosure outlines shareholder approval, registration requirements, financing conditions, and forward-looking risks for the proposed public listing.
The proposed business combination would take Yellow.ai public through a definitive agreement with Bluerock Acquisition Corp., subject to customary closing conditions and shareholder approval. Bluerock intends to file a Form S-4 registration statement containing a proxy statement/prospectus for proxy solicitation and securities issuance in connection with the transaction. The communication is not an offer or solicitation and states that no securities offering may occur without compliance with applicable registration, qualification or exemption requirements. Transaction projections and anticipated benefits are forward-looking statements subject to material risks and uncertainties.
August 3, 2026
Show AI Summary
Bilateral investment and trade facilitation drive proposed co-investment, digital cooperation and advanced manufacturing partnerships between Indian and Uzbek businesses.
India-Uzbekistan cooperation is proposed through co-investment, co-manufacturing and co-innovation, supported by the Bilateral Investment Treaty to promote investor confidence and reciprocal investment. Priority sectors include mining, textiles, healthcare, agriculture, food processing, digital technologies and advanced manufacturing. Trade facilitation measures include reducing trade barriers, mutual recognition of standards, approvals, testing and certification, customs digitalisation and improved trade routes. Regulators and standard-setting bodies are expected to cooperate under a structured, time-bound economic partnership.
August 3, 2026
Show AI Summary
Concessional agricultural credit supports working capital, crop diversification, allied activities, and digital expansion under the Kisan Credit Card scheme.
The Kisan Credit Card-Modified Interest Subvention Scheme provides concessional institutional credit to reduce farmers' interest burdens and improve timely working-capital access. The scheme is reported to support cropping intensity, multi-season cultivation, diversified crop portfolios, timely input use, and credit discipline through the Prompt Repayment Incentive. It also supports dairy, livestock, and fisheries-based income diversification. Credit-delivery measures include collateral-free lending, digital platforms, simplified applications, coverage expansion, and awareness campaigns. State-wise data tracks operative accounts, outstanding credit, and non-performing Kisan Credit Card accounts.
August 3, 2026
Show AI Summary
Banking inclusion expands rural access while digital credit systems and payment security controls address service delivery and cyber fraud.
Banking inclusion is pursued by providing banking outlets within a five-kilometre radius of inhabited villages, with branch expansion permitted subject to rural-coverage requirements and continuing assessment of uncovered areas. Agricultural credit delivery uses digital loan, beneficiary-verification, processing and claim-settlement systems. Digital payment security measures require minimum controls for payment channels and include fraud-intelligence sharing, artificial-intelligence-based identification of money-mule activity, digital lending-app analysis, cyber-incident reporting, public awareness campaigns and electronic-banking training.
August 3, 2026
Show AI Summary
Foreign exchange market movement strengthened the rupee as lower crude prices, investment inflows and improved risk sentiment provided support.
Foreign exchange market movement saw the rupee strengthen for a sixth consecutive trading session against the US dollar, supported by declining global crude oil prices, a softer dollar, foreign institutional investment inflows and gains in domestic equity markets. Improved global risk sentiment followed the decision to defer planned US military strikes against Iran and allow diplomatic engagement. Renewed geopolitical tensions were identified as a factor that could limit further appreciation.
August 3, 2026
Show AI Summary
Quarterly financial performance reflects revenue growth, improved standalone profitability, and continued investment in AI-led digital technology platforms.
Quarterly financial performance reported revenue growth in standalone and consolidated operations, higher standalone profit before tax, and a return to consolidated profitability. The company continues to invest in an AI-led, intellectual-property-driven digital technology strategy through enterprise software, SaaS platforms, digital commerce, cloud, data and AI solutions. Its priorities include scalable platforms, proprietary technology assets, recurring-revenue offerings, partnerships and selective acquisitions. Complete financial results, notes to accounts and regulatory disclosures are available through exchange filings and the company website.
August 3, 2026
Show AI Summary
MSME delayed-payment reforms strengthen award recovery, faster dispute adjudication, invoice discounting, and interim supplier payment protection.
MSME delayed-payment reforms seek faster adjudication, strengthened recovery and improved liquidity for enterprise suppliers. Courts may direct payment of at least half of an awarded amount where a setting-aside application remains pending beyond six months. Mediated settlements and arbitral awards may be recovered as arrears of land revenue and recognised as legally enforceable debts under the insolvency framework. The measures also provide graded penalties, voluntary digital registration, invoice settlement through the Trade Receivables Discounting System, and additional Facilitation Councils.
August 3, 2026
Show AI Summary
Monetary policy rate setting remains cautious as inflation, liquidity, growth and global uncertainty shape the policy stance.
Monetary policy rate setting is expected to remain cautious amid global uncertainty, rising inflation risks and steady domestic growth. The inflation outlook is affected by energy-price pass-through, higher input costs, and seasonal and monsoon-related food-price pressures. Policy decisions are expected to remain data-dependent, guided primarily by domestic inflation, liquidity conditions and economic growth. A cautious or neutral stance is identified as preferable while external risks and inflation developments persist.
August 3, 2026
Show AI Summary
Forward-looking financial disclosure raises revenue and earnings guidance while describing non-GAAP measures, capital allocation, and material business risks.
Financial performance reporting identifies increased bookings, revenue growth, continuing earnings, and backlog, with segment-level operating and margin measures. The release addresses cash flow, capital allocation through dividends, acquisitions and share repurchases, and increased full-year revenue and earnings guidance. Forward-looking statements concerning financial performance, operations, demand, liquidity and capital deployment are subject to identified risks and uncertainties. Non-GAAP measures are presented as supplemental to GAAP measures, with definitions and reconciliations stated to be available in accompanying materials.
August 3, 2026
Show AI Summary
Counterfeit drug enforcement targets illicit manufacture, storage and trafficking networks, with coordinated seizures and referral of non-narcotic stock.
Counterfeit-drug enforcement under Operation Vajra addressed an inter-state network involved in the illicit manufacture, storage and distribution of narcotic drugs, psychotropic substances and spurious pharmaceutical products. Searches of unregistered godowns recovered narcotic products, unauthorisedly manufactured Buprenorphine injection ampoules, and counterfeit non-NDPS medicines. A farmhouse-based illicit manufacturing facility was dismantled, with machinery, chemicals and related materials seized under the NDPS Act, 1985.
August 3, 2026
Show AI Summary
Anti-smuggling enforcement targets concealed gold, narcotics, protected products, prohibited e-cigarettes and restricted imports through coordinated intelligence operations.
Intelligence-led anti-smuggling operations resulted in seizures of foreign-origin gold, narcotic drugs, hydroponic weed, protected wildlife and forest products, prohibited electronic cigarettes, and restricted poppy seeds and areca nuts. The operations identified concealment through fabricated baggage cavities, false cargo declarations, misdeclaration of origin, forged documentation, and concealment in transport vehicles. Poppy seeds are restricted under the Foreign Trade Policy and may be imported only subject to conditions concerning legally cultivated produce from designated countries and registration of import contracts with the Narcotics Commissioner.
August 3, 2026
Show AI Summary
Tax devolution advance instalment strengthens State finances for accelerated capital and developmental expenditure through distribution of Union tax proceeds.
Tax devolution was released to State Governments as an additional advance instalment alongside the normal monthly devolution schedule. The fiscal transfer shares net proceeds of Union taxes and duties with States, with the stated purpose of strengthening State finances and supporting accelerated capital and developmental expenditure. The release includes a State-wise distribution of tax-devolution proceeds.
August 3, 2026
Show AI Summary
Financial performance reporting highlights revenue and EBITDA growth, garmenting recovery, retail optimisation, ESG commitments, and forward-looking risk disclosures.
Financial performance reflects growth in total income and EBITDA, with improved margin, reduced net working-capital days, and a net-cash position. Branded textiles and high-value cotton shirting reported lower revenue due to the prior-year base effect, while branded apparel grew but faced lower margin from channel mix. Garmenting improved through order-book execution, tariff rationalisation, and new global clients. ESG priorities include female representation, waste-management initiatives, renewable energy, emissions reduction, and workplace safety. Forward-looking statements remain subject to regulatory, political, economic, and technological risks.
August 3, 2026
Show AI Summary
Foreign exchange market support strengthens the rupee as lower crude prices, portfolio inflows and reserve growth improve sentiment.
Foreign exchange market conditions supported an early appreciation of the rupee against the US dollar, attributed to lower global crude oil prices, a weaker dollar, sustained foreign portfolio inflows, higher foreign exchange reserves, and Reserve Bank of India presence in the foreign exchange market. Domestic equity market gains and net foreign institutional equity purchases were also identified as supporting factors.
August 2, 2026
Show AI Summary
Gold smuggling detection targets sophisticated concealment methods through strengthened passenger profiling, intelligence gathering and coordinated investigations into organised networks.
Gold smuggling detection at Kerala airports led to multiple seizures, registration of cases and arrests in alleged smuggling attempts. Organised networks reportedly use gold in paste or compound forms concealed in clothing, body cavities, aircraft seats and other unconventional locations. Enforcement measures include strengthened passenger profiling, intelligence gathering and inter-agency coordination, while investigations continue to identify associated syndicates and financiers.
August 2, 2026
Show AI Summary
Offshore exploration funding supports deepwater drilling, shared infrastructure and seismic data to strengthen domestic hydrocarbon production potential.
The Samudra Manthan National Offshore Exploration Scheme provides direct budgetary support for high-risk deepwater and ultra-deepwater exploratory drilling, subject to cost-sharing and per-well limits. Support is available to eligible operators holding or securing exploration acreage. The scheme also funds offshore data acquisition and shared subsea, receipt and processing infrastructure through a Common Hub Infrastructure model. It is intended to promote risk exploration, improve commercialisation of offshore discoveries and strengthen domestic hydrocarbon production potential within the existing exploration and licensing framework.
August 1, 2026
Show AI Summary
GST compliance enforcement combines taxpayer refunds, analytics-based fraud detection, cancellation of fake registrations, and recovery of outstanding VAT arrears.
Punjab attributed increased GST collections to voluntary compliance, intelligence-based enforcement and technology-driven tax administration, while facilitating compliant taxpayers through timely GST refunds. Data analytics, risk profiling and field verification were used to identify tax evasion, bogus billing, fake input tax credit networks and misuse of the GST registration framework. Measures included penalties, cancellation of fraudulent registrations and recovery of long-pending VAT arrears through attachment and auction of defaulters' properties.
August 1, 2026
Show AI Summary
Cross-border barter trade resumes through Shipki La, subject to permitted goods, time limits, and import-export compliance requirements.
Cross-border barter trade through Shipki La between India and Tibet resumed after a six-year interruption. Traders may exchange specified goods under a barter arrangement and must return within 72 hours. Traders are required to comply strictly with import-export regulations prescribed by the Union Ministry of Commerce, emphasising transparency and regulatory compliance. Expansion of permitted goods may be pursued through prescribed governmental and external-affairs channels.
August 1, 2026
Show AI Summary
Export growth projections outline pathways for Odisha to expand merchandise trade through export diversification, MSME support and financing initiatives.
Export growth projections for Odisha set out base, optimistic and ambitious scenarios through FY 2029-30, based respectively on historical growth, envisaged national export growth, and a larger share of national exports. Odisha's export basket remains concentrated in metals and minerals, led by aluminium products, with China as the principal export destination. Odisha Vision 2047 identifies exports, including MSME contributions, as an economic transformation driver, while export-financing and risk-mitigation initiatives aim to address financing gaps for exporters and MSMEs.

News

Back

All News

Showing Results for :
Reset Filters
No Records Found

News

Back

All News

Showing Results for : Reset Filters
Customs, DGFT & SEZ

UK MMRC - Notice 744B Freight transport and associated services December 2009

June 26, 2012

Contents
Summary
Note

Note

-

Bookmark

Print

Print

UK MMRC - Notice 744B Freight transport and associated services December 2009

Foreword

This notice cancels and replaces Notice 744B (February 2006). Details of any changes to the previous version can be found in paragraph 1.1 of this notice.

1. Freight transport and related services

1.1 What is this notice about? - It explains in detail the VAT liability of freight transport and related services.

This notice has been rewritten to take into account the changes made in the 2009 Finance Act which brought in substantial changes to the place of supply of services rules from 1 January 2010.

1.2 What is 'freight'? - Freight includes:

  ♦  goods/cargo

  ♦  mail

  ♦  documents

  ♦  unaccompanied vehicles, and

  ♦  vehicles transported on ships, which are charged at a 'driver accompanied' rate.

1.3 How do I determine the VAT liability of freight transport and related services? - You have to consider all the following three points in order:

  ♦  the status of your customer- see section 2

  ♦  the place of supply of your services – which follows the status of the customer- see section 3 , and

  ♦  the liability of the supply – which follows the place of supply of your services- see section 4.

What is the 'business' status of your customer?

2. The first step in determining the place of supply of your freight transport and related services is to establish whether your customer is 'in business', or not, for the purpose of receiving the supply. Whether your customer is 'in business' is a wide test and is not confined to customers within the UK or the EC but anywhere in the world, nor is it confined to customers that are VAT registered.

A more detailed explanation and examples of when a customer is or is not 'in business', and suggestions for evidence to be held can be found on Notice 741A Place of supply of services.

3. Place of supply

3.1 Customer 'in business' - Freight transportation and related services fall under the general rule when supplied to customers 'in business'. From 1 January 2010 the general rule is that the place of supply of services to a person who is in- business is the place where the customer belongs for the purposes of receiving your supply. It does not matter where the goods being transported move from or to, or where any related service physically takes place.

For example:

Customer is in-business in:

Place of supply of freight transportation and related service is:

France and goods move within France

♦  France

Australia and the goods move from Australia to the UK with related transport services undertaken in France

♦  Australia

United Kingdom and the goods move from Canada to China

♦  United Kingdom

Holland and the goods move from Italy to Ireland where you supply a related transport service

♦  Holland

3.2 Customer not 'in business' - Freight transportation and related services when supplied to customers who are not 'in business' is largely unchanged from before 1 January 2010.

That is, the place of supply of freight transportation

  ♦  from the EC to a third country takes place where the transportation is performed in proportion to the distances covered

  ♦  Intra-EC transportation takes place wholly where the transportation begins, and

  ♦  the place of supply of related services takes place where physically performed.

For example:

Non-business customer is in:

Place of supply of freight transportation and related service is:

France and goods move within France

♦  France

Australia and the goods move from Australia to the UK with related transport services undertaken in France

♦  Australia and the UK and any other country transited. The related transport services are supplied in France

United Kingdom and the goods move from Canada to the China

♦  Canada, China and any other country transited

Holland and the goods move from Italy to Ireland where you supply a related transport service

♦  Transport related service is supplied in Ireland

3.3 Intra-EC transportation that transits a non- member-state - Freight transportation between EC member states that involves transiting a non-EC member state (for example Sweden to UK via Norway) is to be treated as intra-EC transportation.

3.4 What is the position of a sub-contractor to the main supplier of freight transportation or related services? - If you are a subcontractor supplying freight transportation or related services to a main contractor then the place of supply of your services will be determined by the status of your immediate customer and not that of the ultimate customer of the main contractor.

For example a French company moving goods from Italy to Ireland for a UK Company will have a place of supply of freight transportation in the UK as that is where the customer belongs. If you are sub-contracted to move these goods from Dover to Holyhead for the French contractor the place of supply of your freight transportation services is France as that is where your customer belongs.

4. VAT Liability

4.1 Place of supply is the UK - If the place of supply of freight transportation or related services is the UK then the supply will be standard rated, except:

  ♦  for the supply is of transportation or related services connected with an import or export from the EC (see section 5), or

  ♦  the actual movement of goods is from to or between the islands of The Azores or Madeira or the related service is physically performed on these islands (see section 7), or

  ♦  the supply is of handling or storage of ship or aircraft cargo (in certain places) (see section 8),

when the liability will be zero-rated.

4.2 Place of supply is outside the UK - If the place of supply is outside the UK then the supply is outside the scope of UK VAT and there is no VAT liability within the UK. However, you will be able to recover any input tax incurred in making the supply, subject to the normal rules. Further information on input tax can be found in Notice 700 The VAT Guide. You may have a liability to VAT register in other EC member states where you make the supplies.

4.3 Accounting for VAT - The procedure for accounting for VAT and who accounts for it will depend on the circumstances of the transaction.

  ♦  If the supplier is located in the same member state as the place of supply he charges and accounts for the VAT due as a domestic supply.

  ♦  If the place of supply moves to an EC member state because that is where a customer who is in-business is located then the customer must account for the VAT as a reverse charge. See section 11 for more information on reverse charges

  ♦  If the place of supply moves to where the transport of the goods for a person not in-business begins then the supplier may have to register for VAT in the member state of supply, see Notice 700/1 Should I be registered for VAT? If the place of supply is the UK.

  ♦  If the place of supply is outside the EC then the supply is outside the scope of VAT in any member state.

5. Import/export and non-EC freight transport

5.1 What is import/export and non-EC freight transport? - For the purpose of this section import/export and non-EC freight transport means the transport of goods:

  ♦  between the EC and non-EC countries, or

  ♦  wholly outside the EC.

5.2 What is the place of supply of this freight transport? - The place of supply of import/export and non-EC freight transport follows the rules set out in sections 2 and 3.

5.3 What is the VAT liability of import/export and non-EC freight transport? - Where the place of supply is the UK the law zero-rates:

  ♦  the supply of transportation of goods from a place within to a place outside the EC and vice versa

  ♦  the transport, handling and storage of goods, when they are supplied in connection with a journey from the place of importation to their destination either within the UK or within another member State (to the extent that those services are supplied in the UK)

  ♦  The transport, handling and storage of goods, when they are supplied in connection with a journey from their origin either within the UK or within another member State to the place of export (to the extent that those services are supplied in the UK).

Handling and storage is covered in section 8.

5.4 What is the meaning of 'destination' and 'origin'? - 'Destination' is the furthest specified place in the UK or other member state to which the goods are consigned at the time of importation. It is the place stated on the consignment note or any other document by means of which the goods are imported. These are often known as the delivery terms, which are explained further at paragraph 5.5.

When that place is unknown, the destination is the place of importation.

'Origin' is the place from within the UK or other member state from which the goods are first consigned for export.

When that place is unknown, the origin is the place of exportation.

Goods consigned to:

Destination is

Goods arriving at Felixstowe and consigned to Birmingham

Birmingham

Goods arrive at Heathrow to await further instructions

Heathrow.

Goods consigned from:

Origin is

Goods for export consigned from Newcastle to Sydney

Newcastle

Goods moved from Manchester to Southampton before they are consigned for export

Southampton

However, the service(s) must be supplied in direct connection with an import or export.

5.5 What are the delivery terms? - The main delivery terms used in the UK: are:

Abbreviation

Title

Meaning

EXW

Ex works

The goods are made available at the seller's premises (for example: works, factory, warehouse etc.) and the buyer bears all the costs (loading, transport etc.) from that point on.

DDU or DDP

Delivered Domicile (fully delivered)

The seller delivers the goods to a named place in the country of arrival (for example: the buyer's premises or a particular warehouse) and is responsible for all costs involved in doing so.

FOB

Free on board at the port of departure

The seller bears the cost of transporting the goods to the port in the country of exportation. The buyer is responsible for all costs from that point.

CIF

Cost, insurance and freight to the port of arrival

The seller pays all the costs and freight charges necessary to get the goods to a port or airport in the UK. The buyer is responsible for the charges associated with domestic transport from the port or airport.

A complete list of delivery terms is given in Notice 252 Valuation of imported goods for customs purposes, VAT and trade statistics.

5.6 Do you have examples of services connected with imports and exports that are zero-rated?

To the extent that the place of supply is the UK and the…

It is…

transport is from Birmingham to Dover of goods to be exported from the France to Algeria

zero-rated

it is a supply in connection with an export from the EC

shipping of goods from the USA and imported into Ireland

zero-rated

it is a supply of transportation from outside to within the EC

storage of goods being exported from Holland to Norway

zero-rated

it is a supply of storage in connection with an export from the EC

transportation of goods from South Africa to Spain of goods consigned to Switzerland

zero-rated

it is a supply of transportation into the EC notwithstanding that the goods are destined for Switzerland

Handling of goods at Heathrow that are in-transit from Canada to Norway

zero-rated

Heathrow is a Customs and Excise airport. (see paragraph 8.2)

flying of goods from Australia to New Zealand

standard-rated

it is not a supply in connection with transportation or import into or out of the EC

5.7 What documentary evidence do I need to hold to show that my services form part of an import or export movement? - If you provide such services you should hold satisfactory evidence that you are providing a service connected with a specific import or export of goods in the form of commercial documentation.

The list below is not exhaustive. If you have difficulties in obtaining these documents, you should contact our Helpline. Details about 'satisfactory evidence' for exports are also given in Notice 703 Exports and removals of goods from the United Kingdom.

Main forms of documentary evidence include

Additionally, a combination or all of these may provide suitable evidence

contracts or agreements

inter-company correspondence

consignment notes

the customer's order documentation

bills of lading

payment details

certificates of shipment

sales invoices

air / or seaway bills

advice notes

Customs declaration forms C88 (SAD)

 

5.8 Under what circumstances are services connected with imports or exports not zero-rated? - The following services when connected with imports are not zero-rated:

  ♦  services, which are unconnected with a movement of goods from a place outside the EU to a place within the EU or vice versa

  ♦  the transport of goods after their arrival at the destination. For example, the transport after arrival at a warehouse (the destination they were consigned to), where the customer is known but the further destination elsewhere in the UK is not known. When the goods are at some later date called off for consignment to (say) a branch, the transport and any related services cannot be zero-rated

  ♦  services connected with goods which have not specifically been consigned for export at the time of transportation

  ♦  the handling of goods after they have been unloaded at the destination

  ♦  the storage of goods at the destination, unless the storage meets the conditions in section 8.

6. Related transport services

6.1 What are related transport services? - These include the following services when they relate to the transport of goods:

  ♦  loading, unloading or reloading

  ♦  stowing

  ♦  opening for inspection

  ♦  cargo security services

  ♦  preparing or amending bills of lading, air or sea-waybills and certificates of shipment

  ♦  packing necessary for transportation, or

  ♦  storage.

6.2 What is the place of supply of related transport services? - The place of supply of related transport services follows the rules set out in sections 2 and 3.

6.3 Accounting for VAT on related transport services - The procedures for accounting for VAT are set out in section 4.

7. Intra-EU freight transport and associated services between member States and the Azores and Madeira

7.1 Why are the Azores and Madeira treated differently from other member States and their dependencies within the EU? - When Portugal joined the EU on 1 January 1993, the European Commission decided that freight transport services to and from the Azores and Madeira should be treated differently from supplies of intra-EU freight transport.

7.2 What freight transport supplies does this section cover? - It covers the transport of goods:

  ♦  to or from the Azores or Madeira to a place elsewhere in the EU, or

  ♦  between the Azores and Madeira.

7.3 What is the place of supply of intra-EU freight transport to the Azores and Madeira? - This is the same as the place of supply for intra-EU freight transport – see sections 2 and 3.

7.4 What is the UK VAT treatment for intra-EU freight transport to the Azores and Madeira? - It is zero-rated to the extent that the transport services are treated as supplied in the UK.

7.5 What is the UK VAT treatment for transport related services and intermediary services supplied in connection to freight transport to the Azores and Madeira? - These are zero-rated to the extent they are treated as supplied in the UK.

8. Handling and storage services in connection with ship and aircraft cargo

8.1 What are handling and storage services in connection with ship and aircraft cargo? - Here are some examples of handling and storage services:

  ♦  cargo security services

  ♦  container handling for which a box charge is made

  ♦  demurrage

  ♦  loading stores and discharging empties

  ♦  loading, unloading, reloading, stowing, securing and shifting cargo

  ♦  preparing or amending bills of lading, air / or sea-waybills and certificates of shipment

  ♦  preparing or amending customs entries

  ♦  presenting goods for customs examination

  ♦  sorting, opening for inspection, repairing and making good, weighing and taring, taping and sealing, erasing and re-marking, labelling and renumbering, tallying, checking, sampling, measuring or gauging of goods

  ♦  stevedoring and porterage

  ♦  survey of cargo (including damaged cargo), or

  ♦  the movement of goods to or from a ship by lighter.

8.2 How should I treat handling and storage services relating to ship and aircraft cargo? - The handling and storage of ship and aircraft cargo may be zero-rated provided the service is physically performed in the UK:

  ♦  in a port (see paragraph 8.3)

  ♦  on land adjacent to a port (see paragraph 8.3)

  ♦  in a customs and excise airport (see paragraph 8.4), or

  ♦  in a transit shed (see paragraph 8.5).

However:

  ♦  the grant of a licence to occupy land to store goods in a specific area, as distinct from the service of storing them, may be exempt from VAT. (Further information on this is given in Notice 742 Land and property.)

  ♦  paragraph 8.6 covers handling and storage services relating to imported and exported goods

  ♦  paragraph 8.7 covers related services that are excluded from zero-rating.

8.3 What is the meaning of 'port' and 'land adjacent to a port'? - 'Port' means any port appointed for customs purposes and the ports so appointed between them include all UK territorial waters up to the mean high water mark and the inland water as far as the tide flows together with associated docks and harbours.

The water of the Manchester Ship Canal between the Mersey and Manchester is also a customs port.

The legislation defining the ports does not include any land so 'Land adjacent to a port' means the immediate quay-side and any warehousing/storage facilities thereon.

8.4 What is the meaning of 'customs and excise airport'? - 'Customs and excise airport' means an airport designated for the landing or departure of aircraft for the purposes of the Customs and Excise Acts by an order in council. The limit of a customs and excise airport is normally the boundary of the airport itself. A list of customs and excise airports is given at paragraph 8.8.

8.5 What is the meaning of a 'transit shed'? - A transit shed is a place approved by Customs for the deposit of goods having the status of goods in temporary storage. Goods are in temporary storage until they are assigned to a customs-approved treatment or use. An example of the latter is placing the goods under a customs procedure, such as entry to 'free circulation'.

Further information can be found in Notice 199A Temporary Storage.

8.6 What about handling services relating to goods that have been imported from or are to be exported to, a place outside the EU? - The goods handling services may qualify for zero-rating if the goods concerned have been imported from, or are to be exported to, a place outside the EU – see section 5.

8.7 Are there any services which are excluded from zero-rating? - Yes, the letting on hire of any goods including cranes or other lifting equipment is not zero-rated, even though the hire takes place in a port or airport.

8.8 Do you have a list of designated customs and excise airports?

This is the list of designated customs and excise airports:

Aberdeen

Farnborough

Manston

Belfast International (Aldergrove)

Filton

Newcastle

Biggin Hill

Glasgow

Newquay

Birmingham

Humberside

Norwich

Blackpool

Leeds Bradford

Plymouth

Bournemouth

Liverpool

Prestwick

Bristol

London City

Sheffield City

Cambridge

London Gatwick

Shoreham

Cardiff

London Heathrow

Southampton

Coventry

London Luton

Southend

East Midlands

London Stansted

Sumburgh

Edinburgh

Lydd

Teesside

Exeter

Manchester

 

9. Intermediary services

9.1 What are intermediary services? - This is where you act for, or represents someone else (the principal) in the making of arrangements for a supply of Freight transportation or a related service as covered in this notice.

Further information about intermediaries can be found in Notice 700 The VAT Guide and Notice 741 place of supply of services.

9.2 What is the place of supply of intermediary services relating to freight transport and related supplies? - The place of supply of intermediary services follows the rules set out in sections 2 and 3 as they relate to your customer, 'the principal'.

9.3 What is the VAT treatment of intermediary services? - If you are the initial intermediary who is involved in the making of arrangements of the services covered in this notice and the place of supply of your services is the UK then the liability of your supply will be zero-rated when you make arrangements for:

  ♦  the supply of space in a qualifying ship or aircraft, or

  ♦  the supply of handling, storage or transportation of goods imported to or exported from the EC as set out in section 6, or

  ♦  the supply of handling or storage services as set out in section 8.

In all other cases the liability of the supply will be standard rated.

For more information on the meaning of qualifying see Notice 744C Ships, aircraft and associated services.

9.4 Do you have some examples of intermediary services relating to the supply of freight transport or related services? - Yes, some examples are below.

  ♦  If you arrange for a supply of freight transport that takes place wholly in France, for a UK customer that is not in-business, the place of supply of your service is France. You, as the supplier of the intermediary service, may be required to account for the VAT on your supply in France.

  ♦  If you arrange for a supply of freight transport to export goods from France to the USA, for a UK customer that is in-business, the place of supply of your service is the UK. The service being arranged is for the exportation of goods from the EC so is zero-rated.

  ♦  If you arrange for a supply of freight handling at Felixstowe docks for a UK customer that is not-business, the place of supply of your service is the UK. The service being arranged is the handling, in a port, of goods carried on a ship so is zero-rated.

9.5 What if I receive intermediary services?

If you are in-business in the UK and receive intermediary services the principles set out in paragraph 4.3 will apply.

10. Freight forwarders

10.1 Are there any special VAT rules for freight forwarders? - There are no special rules for the VAT treatment of freight forwarders. You will have to look at the services you are providing on an individual basis, in order to determine how they should be treated for VAT purposes.

10.2 What do I need to consider in determining the VAT treatment of my supplies as freight forwarder?

To determine the VAT treatment of your supplies you will need to consider the following:

Am I acting as a principal or an intermediary?

As freight forwarder you may provide a variety of supplies either acting as an intermediary in arranging supplies between two other parties or supplying the services as a principal – see section 9.

Am I making a single supply?

If you act as a principal, it is likely that you provide your customers with a number of services in relation to a single transaction or contract. In such circumstances, your services may form a single supply for VAT purposes. Where you are making such a single supply, its VAT treatment should be determined according to the overall essential nature of the supply. See also paragraph 10.4.

Am I making multiple supplies?

Your services may constitute more than one supply. You will need to consider the treatment and VAT liabilities of such separate supplies on an individual basis. Similarly, if you are an agent, you may be arranging one or more supplies. This can affect both the place of supply and the liability of your services. See also 10.4.

What is the place of supply for my services?

See sections 2 and 3

What is the VAT liability of the services I am providing?

This will depend upon:

♦  the nature of the services you are providing, and

♦  the place of supply for these services.

10.3 Do you have relevant examples of supplies made by freight forwarders? -Some examples are:

Description

Nature of supply

Place of supply and VAT liability

You are asked to arrange for goods to be imported from the USA on behalf of a UK non-business customer. You buy in the international transport, arrange insurance, arrange customs clearance, pay the import transport from the place of importation to your customer's premises.

You are regarded as making a single supply of international transport.

Your supply is zero-rated to the extent that the transport takes place in the UK.

The rest of the journey is outside the scope of UK VAT (see paragraph 3.2).

The payment of import duty is a disbursement and is outside the scope of VAT (see paragraph 10.4).

A UK business customer asks you to arrange delivery of their goods from Paris to Birmingham.

You buy in the transport and arrange for overnight storage at Dover.

You are making a single supply of transport with associated handling and storage,

the place of supply of which is the UK (see paragraph 3.1).

Your supply is standardrated.

A UK customer has arranged to have goods exported to Australia. You are asked merely to arrange for a haulier to take the goods to the airport.

You are acting as an intermediary in the making of arrangements of international freight transport.

The haulier is making supplies of transport in connection with an export.

Your supply is zero-rated (see section 9).

The haulier's supply is zero-rated (see section 5).

10.4 How should I treat disbursements such as payment of customs duty? - Disbursements, such as payment of customs duty, are outside the scope of VAT and should normally be identified separately on your invoice. This does not apply to expenses you incur in making your supply, such as postage and telephone costs, these form part of the consideration for your supply (whether your supply is standard or zero-rated), even if separately itemized on your invoice. Further information on disbursements is given in Notice 700 The VAT Guide.

11. Reverse charge

11.1 What is the 'reverse charge' procedure? - This is a simplification, which means that overseas suppliers do not register and account for VAT on supplies made in the UK to customers that are in-business in the UK.

11.2 How does the 'reverse charge' operate? - If you receive services to which the reverse charge applies, you, the customer, must account for VAT as if you were the supplier of the services. You will need to credit your VAT account with an amount of output tax, calculated on the full value of the supply you have received and at the same time, debit your account with the input tax to which you are entitled, in accordance with the normal rules.

Customers that are not VAT registered must add the value of the supply received to their business turnover for the purpose of deciding whether they need to register for VAT. See notice 700/1 Should I be registered for VAT?

Further information on input tax is given in Notice 700 The VAT Guide and further information on reverse charge is given in Notice 741 Place of supply of services.

If you have a question about VAT, Excise or Customs duty

Phone 0845 010 9000 Monday to Friday 08.00 – 20.00.

Go to www.hmrc.gov.uk

Os hoffech siarad â rhywun yn Gymraeg, ffoniwch 0845 010 0300, Llun i Gwener 08.00 – 18.00. If you are hard of hearing or speech impaired and use a Textphone, phone 0845 000 0200.

Do you have any comments or suggestions?

If you have any comments or suggestions to make about this notice, please write to:

HM Revenue & Customs

Place & Time of Supply Team

3rd floor

100 Parliament Street

London

SW1A 2BQ

For general enquiries, please go to www.hmrc.gov.uk or phone the Helpline.

Putting things right

If you are not satisfied with our service, please let the person dealing with your affairs know what is wrong. We will work as quickly as possible to put things right and settle your complaint. If you are still unhappy, ask for your complaint to be referred to the Complaints Manager. For more information about our complaints procedures go to www.hmrc.gov.uk and under 'quick links' select 'Complaints'.

Topics

Acts Income Tax