No GST on
Fees for Yoga Camp for Income Tax Exempt Entities
[Circular No. 66/40/2018-GST dated 26
September 2018]
Subject: GST on Residential programmes or camps
meant for advancement of religion, spirituality or yoga by religious and
charitable trusts.
Certain
representations have been received seeking clarification as regards
applicability of GST on residential programmes or camps meant for advancement
of religion, spirituality or yoga where the fee charged includes the cost of
boarding and lodging.
2.
The issue has already been clarified in the Chapter 39 “GST on Charitable and Religious
Trusts” of Compilation of 51 GST Flyers updated as on 01.01.2018 available on CBIC website at the link
https://goo.gl/EgAJtA.
2.1
The relevant portion reads as under:
“The
services provided by entity registered under Section 12AA of the Income Tax
Act, 1961 by way of advancement of religion, spirituality or yoga are exempt.
Fee or consideration charged in any other form from the participants for
participating in a religious, Yoga or meditation programme or camp meant for
advancement of religion, spirituality or yoga shall be exempt. Residential
programmes or camps where the fee charged includes cost of lodging and boarding
shall also be exempt as long as the primary and predominant activity, objective
and purpose of such residential programmes or camps is advancement of religion,
spirituality or yoga. However, if charitable or religious trusts merely or
primarily provide accommodation or serve food and drinks against consideration
in any form including donation, such activities will be taxable. Similarly,
activities such as holding of fitness camps or classes such as those in
aerobics, dance, music etc. will be taxable”.
3.
It is accordingly clarified that taxability of the services of religious and
charitable trusts by way of residential programmes or camps meant for
advancement of religion, spirituality or yoga may be decided accordingly.
4.
Difficulty if any, in the implementation of this Circular may be brought to the
notice of the Board.
F.
No. 354/314/2017-TRU