Goods and Services Tax

export fo services

GST – Started By: – Madhavan iyengar – Dated:- 12-1-2019 Last Replied Date:- 20-1-2019 – A indian Company X in new delhi has received a contract for submission of a quality audit report, for one of the clients based in haryana india of an overseas company B located in US.X will raise invoice in USD and receive money in foreign exchangeWhether the aforesaid services provided by X will fall under export of services as all conditions for export will be satisfied (but doubt on performance of services will it be held that POPS is in India ????) – Reply By PAWAN KUMAR – The Reply = As per my view, place of supply of service is in india which is different from the place of supplier, therefore it is qualify as inter-state supply and liable to IGST. Export of service is not qualifyall the conditions should satisfy for export of service :-supplier of service is in india-receiver of service is outside india-service to perform outside india-payment to received in foreign currency-establishment of

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saction has to satisfy all five ingredients of the definition of export of services simultaneously. So in your situation the condition at (iii) of the above definition is not satisfied. Go through the whole decision carefully. It answers your query. – Reply By Madhavan iyengar – The Reply = sirs When we talk of gst as a destination based tax the taxes will follow the goods / services here the destination of the service is the recipient located abroad, suppose let us mirror the transaction in india then definitely the destination of the services is in india.going a step further the foreign party which receives the quality audit report will based on the report decide to do business in india and then there will be imports of those goods into indiajust because the performance of the service is in india the recipient will receive the quality audit report abroad and he is consuming the services abroadif we carry this argument the software services which are being performed in india and the r

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the service is completed and thereafter the person comes to Maharahstra base office and the report will be submittedFurther the invoice will be raised by the office in maharashtra in USD on foreign party since we cant collect the tax from foreign vendor can we arrive the amount inclusive of tax and then discharge the tax suppose we raise invoice for 100USD gross and then tax will be calculated in reverse way and discharged – Reply By Madhavan iyengar – The Reply = Market research, survey for overseas group, parent entity, not intermediary service , constitutes export of service : AAR of Maharashtra Fact: M/s. Asahi Kasei India Private Limited = 2019 (1) TMI 1091 – AUTHORITY FOR ADVANCE RULINGS MAHARASHTRA ( the applicant ) is a Indian subsidiary company of Asahi Kasei Corporation, Japan ( Asahi Japan ). Asahi Japan is the flagship company of the Asahi Kasei group. Asahi Kasei group S fibers and textiles, petrochemicals, pharmaceuticals, polymers, electronic devices, home products, con

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ST-ARA-35/2018-19/B-108 dated September 05, 2018 = 2019 (1) TMI 1091 – AUTHORITY FOR ADVANCE RULINGS MAHARASHTRA stated as follows: 1. (i) The services provided by the applicant in the nature of Research on the matter related to functioning of the holding of company such as – corporate accounting, corporate finance, corporate personnel and labour relations, corporate research and development, quality assurance and corporate intellectual property, and provide Party A with its report of the research thereon would fall under service code tariff 99859 as other support services nowhere elsewhere classified. (ii) The services provided by the applicant in the nature of Information on Market in the territory which includes – Economic, industrial and technical information on the products falling under the category of the Products and their markets, trends and outlook together with similar information concerning such other industries in the Territory, To provide necessary assistance in business

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