The ruling held that ITC cannot be claimed on rent for periods when the supplier was unregistered and invoices were issued late. Only the June 2022 portion qualifies, subject to time-limit conditions.
The Authority held that the applicant’s solid waste management activities fall under Entry 3B and are exempt from GST. It found CKCL to be a Governmental Authority receiving eligible services.
The Authority held that the applicant’s diploma courses form part of a curriculum leading to qualifications recognized by law. Educational services provided to students are exempt from GST.
The ruling holds that interim payments made during the COVID-19 lockdown constitute consideration for manpower services. GST was deemed applicable because the workers were treated as “on duty” under the existing contract, leaving no scope for exemption.
The authority held that transferring development rights in exchange for constructed flats constitutes a taxable supply. GST at 5% applies to the landowner’s share, and valuation must follow notified rules.
The ruling held that conducting recruitment examinations constitutes a taxable supply of services. Application fees collected from candidates are therefore subject to GST.
The authority held that fee receipts were taxable as the applicant failed to establish approval of its partners and courses under NSDC or NCVET. The ruling clarifies that exemptions apply only when statutory evidence is produced.
The ruling held that self-drive rentals do not transfer possession or control and must be classified under SAC 997329. The Authority applied Entry 17(viia), linking the GST rate to that of similar goods.
The authority held that rent paid for residential dwellings taken from unregistered landlords attracts GST under RCM. It further ruled that ITC is not available since the accommodation provided to employees is a non-taxable perquisite.
The authority dismissed the matter after the applicant withdrew its questions on GST applicability to duty-free shop transactions. The ruling concludes with no decision on tax liability due to the withdrawal.