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Clarification regarding taxability of supply of securities under Securities Lending Scheme, 1997

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....) CCW/GST/74/2015 Dated: -18-11-2019. Sub: - Clarification regarding taxability of supply of securities under Securities Lending Scheme, 1997 - Reg. Trade has requested clarification on whether the supply of securities under Securities Lending Scheme, 1997 ("Scheme") by the lender is taxable under GST. 2. Securities and Exchange Board of India (SEBI) has prescribed the Securities Lending Sch....

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....e diagram below: - 2.2. In the above chart: (i) Lender is a person who deposits the securities registered in his name or in the name of any other person duly authorised on his behalf with an approved intermediary for the purpose of lending under the scheme. (ii) Borrower is a person who borrows the securities under the scheme through an approved intermediary. (iii) Approved intermediary is a p....

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....emoval of doubts, it is hereby clarified that the expression "services" includes facilitating or arranging transactions in securities; 4. Securities as defined in clause (h) of section 2 of the Securities Contracts (Regulation) Act, 1956 are not covered in the definition of goods under section 2(52) and services under section 2(102) of the APGST Act. Therefore, a transaction in securities which i....

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....e lender temporarily lends the securities held by him to a borrower and charges lending fee for the same from the borrower. The borrower of securities can further sell or buy these securities and is required to return the lended securities after stipulated period of time. The lending fee charged from the borrowers of securities has the character of consideration and this activity is taxable in GST....