Case Law Details
In re Rotary Club of Bombay Mid Town (GST AAR Maharashtra)
The applicant ‘Rotary Club of Bombay Mid Town’ has submitted a letter via email dated 03.06.2021 and requested that they may be allowed to voluntarily withdraw their subject application filed on 20.07.2020. The request of the applicant to withdraw their application voluntarily and unconditionally is hereby allowed, without going into the merits or detailed facts of the case.
FULL TEXT OF ORDER OF AUTHORITY OF ADVANCE RULING, MAHARASHTRA
PROCEEDINGS
(Under Section 96 of the Central Goods and Services Tax Act, 2017and the Maharashtra Goods anti Services Tax Act, 2017)
The present application has been filed under Section 97 of the Central Goods and Services Tax Act, 2017 and the Maharashtra Goods anti Services Tax Act, 2017 [hereinafter referred to as “the CGST Act and MGST Act” respectively ) by M/s. Rotary Club of Bombay Mid Town, the applicant, seeking an advance ruling in respect of the following questions.
i . Whether the amount collected as membership subscription and admission fees from members is liable to GST as supply of services?
ii. If the above receipts are liable to GST can the Club claim Input tax credit of the tax paid on Banquet and catering services for holding members meetings and various events?
The applicant has submitted a letter via email dated 03.06.2021 and requested that they may be allowed to voluntarily withdraw their subject application filed on 20.07.2020.
The request of the applicant to withdraw their application voluntarily and unconditionally is hereby allowed, without going into the merits or detailed facts of the case.
ORDER
(Under section 98 of the Central Goods and Services Tax Act, 2017 and the Maharashtra Goods anti Services Tax Act, 2017)
NO. GST-ARA- 02/2020-21/B-18 | Mumbai, dt. 22.06.2021
The Application in GST ARA Form No. 01 of M/s. Rotary Club of Bombay Mid Town, vide reference ARA No. 02 Muted 20.07.2020 is disposed of, as being withdrawn voluntarily and unconditionally.