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Case Law Details

Case Name : In re P.K.S Centre for Learning (GST AAR Karnataka)
Appeal Number : Advance Ruling No. KAR ADRG 24/2022
Date of Judgement/Order : 12/08/2022
Related Assessment Year :
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In re P.K.S Centre for Learning (GST AAR Karnataka)

Q1. Whether the activity proposed to be undertaken by the Applicant, of printing stationery items such as question papers, admit cards, answer booklets, SSLC Pass Certificate, the overprinting of variable data and lamination, fail marks cards, Circulars, ID cards and other formats used for and during examinations, envelopes for packing answer booklets on contract basis for the Karnataka Secondary Education Examinations Board, and utilized for the conduct of examinations, would constitute a supply of service to an “educational institution” as defined in Notification 12/2017 CT (R)?

A1. The activity proposed to be undertaken by the Applicant, of printing stationery items such as question papers, admit cards, SSLC Pass Certificate, the overprinting of variable data and lamination, fail marks cards, Circulars, ID Cards on contract basis for the Karnataka Secondary Education Examinations Board and utilized for the conduct of examinations, would constitute a supply of service to an “educational institution”.

Q2. If the answer to the above Question 1 is yes, then whether the service provided to educational institutions, specifically the Karnataka Secondary Education Examinations Board by way of printing of stationery pertaining to the conduct of examination would be covered by Sr. No. 66 (Heading 9992) of Notification No. 12/2017-Central Tax (Rate), as amended and subject to Nil rate of tax?

A2. The activity proposed to be undertaken by the Applicant, of printing stationery items such as answer booklets, other formats used for and during examination and envelopes for packing answer booklets on contract basis for the Karnataka Secondary Education Examinations Board and utilized for the conduct of examinations, would constitute a supply of Goods to an “educational institution”.

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