Clarification on GST Rates and Classification
(Goods)
·
Sattu unbranded,
it attracts Nil GST (S. No. 78 of notification No. 2/2017-Central Tax (Rate)
dated 28.06.2017) and if branded and packed it attracts 5% GST (S. No. 59 of
schedule I of notification No. 1/2017-Central Taxes (Rate) dated 28.06.2017).
·
Fish meals, meat cum bone meal (MBM) etc.,
attract 5% GST under S. No. 103 in notification No. 1/2017- Central Tax (Rate)
dated 28.6.2017. (Prepared feed to attract Nil GST under SNo.
102)
·
Vitamins, provitamins
are supplied in a form in which they are capable of general use, i.e. in the
form in which it could be used as inputs or raw materials for further
processing, instead of being ready to use, then these would be classifiable
under heading 2936. For specific use, the code is HS 2309 which is the ready to
use preparation.
·
LPG supplied in bulk, whether by a
refiner/fractionator to an OMC or by one OMC to another for bottling and
further supply for domestic use will fall under the S. No. 165A of the
notification No. 1/2017- Central Tax (Rate) dated 28.06.2017 and shall,
accordingly, attract a GST rate of 5%, with effect from 25.1.2018. (Actual
supply to domestic consumers not important. The form and packing for domestic
supply in the key).
· Polypropylene
Woven and Non-Woven Bags and PP Woven and Non-Woven Bags laminated with BOPP
would be classified as plastic bags under HS code 3923 and would attract 18%
GST. (BOPP Lamination determines classification under Ch
39 non laminated bags of jute will go under Ch 53).
· Wood
logs or any kind of wood in the rough/timber, including the wood in
rough/log/timber used for pulping falls under heading 4403 and attract GST at
the rate of 18%.
·
Bagasse board [whether plain or laminated]
falling under chapter 44 will attract concessional GST rate of 12%.
·
Fabrics sold in a pack as ladies salwar suit.
Any embroidery on a fabric piece or certain embellishment thereon does not
change the basic nature of their being a fabric.
· Heading
6307 would not cover a fabric pieces or a set of pre-packed fabric pieces, even
if embroidered or embellished. Such set of fabric pieces would attract GST at
the rate of 5%.
· In SNo. 234 of 1/2017 for 5% GST notification specifically
applies only the goods falling under chapters 84, 85 and 94 of the Tariff.
Therefore, this concession would be available only to such machinery, equipment
etc., which fall under Chapter 84, 85 and 94 and used in the initial setting up
of renewable energy plants and devices including WTEP. This entry does not
cover goods falling under other chapters, say a transport vehicle falling under
Chapter 87 that may be used for movement of waste to WTEP.
·
Turbo charger for Railway is specifically
classified under chapter HS code 8414 80 30. It continues to remain classified
under this code irrespective of its use by Railways. Therefore, it is clarified
that the turbo charger is classified under heading 8414 and attracts 18% GST.
· Inter-state
movement of goods for provision of service on own account is not supply and not
liable to GST. No transfer of title in such goods or transfer of goods to the
distinct person by way of stock transfer is involved, it does not constitute a
supply of such goods. Hence, it is clarified that any such movement on own
account (not involving distinct person in terms of section 25), where such
movement is not intended for further supply of such goods does not constitute a
supply and would not be liable to GST.
[GST Circular No.
80/54/2018-GST dated 31st December 2018]
Subject: Clarification regarding GST rates &
classification (goods).
Representations
have been received seeking clarification in respect of applicable GST rates on
the following items:
(i) Chhatua or Sattu
(ii)
Fish meal and other raw materials used for making cattle/poultry/aquatic feed
(iii)
Animal Feed Supplements/ feed additives from drugs
(iv)
Liquefied Petroleum Gas for Domestic Use
(v)
Polypropylene Woven and Non-Woven Bags and PP Woven and Non-Woven Bags
laminated with BOPP
(vi)
Wood logs for pulping
(vii)
Bagasse based laminated particle board
(viii)
Embroidered fabric sold in three pieces cloth for lady suits
(ix)
Waste to Energy Plant-scope of entry No. 234 of Schedule I of notification
No.1/2017- Central Tax (Rate) dated 28.6.2017
(x)
Turbo Charger for railways
(xi)
Rigs, tools & Spares moving inter-state for provision of service
2.
The matter has been examined. The issue-wise clarifications are discussed
below:
3. Applicability
of GST on Chhatua or Sattu:
3.1
Doubts have been raised regarding applicability of GST on Chhatua
(Known as “Sattu” in Hindi Belt).
3.2 Chhatua or Sattu is a mixture of
flour of ground pulses and cereals. HSN code 1106 includes the flour, meal and
powder made from peas, beans or lentils (dried leguminous vegetables falling
under 0713). Such flour improved by the addition of very small amounts of
additives continues to be classified under HSN code 1106. If unbranded, it
attracts Nil GST (S. No. 78 of notification No. 2/2017-Central Tax (Rate) dated
28.06.2017) and if branded and packed it attracts 5% GST (S. No. 59 of schedule
I of notification No. 1/2017-Central Taxes (Rate) dated 28.06.2017).
4. Applicable
GST rate on Fish meal and other raw materials used for making
cattle/poultry/aquatic feed:
4.1.
Representations have been received seeking clarification regarding GST rate
applicable on the other raw materials/inputs used for making
cattle/poultry/aquatic feed. The classification dispute here is between the
following two entries in the two notifications. The details are as under:
|
Notification |
Tariff Line |
Description |
Rate |
|
S. No. 102 of notification No. 2/2017- Central Tax (Rate) dated
28.6.2017 |
2301, 2302, 2308, 2309 |
Aquatic feed including shrimp feed and prawn feed, poultry feed &
cattle feed, including grass, hay & straw, supplement & husk of
pulses, concentrates & additives, wheat bran & de-oiled cake |
NIL |
|
S. No. 103 of notification No. 1/2017- Central Tax (Rate) dated
28.6.2017 |
2301 |
Flours, meals and pellets, of meat or meat offal, of
fish or of crustaceans, molluscs or other
aquatic invertebrates, unfit for human consumption; greaves |
5% |
4.2
A number of raw materials such as fish meal falling under heading 2301, meat and
bone meal also falling under heading 2301, oil cakes of various oil seeds, soya
seeds, bran, sharps, residue of starch and all other goods falling under
headings 2302, 2303, 2304, etc are used to
manufacture/formulation of, aquatic feed, animal feed, cattle feed, poultry
feed etc. These raw materials/inputs cannot be directly used for feeding animal
and cattle. The Larger Bench of the Hon’ble Supreme Court in the Commissioner
of Customs (Import), Mumbai vs. Dilip Kumar [2018
(361) E.L.T 577] has laid down that inputs for animal feed are different from
the animal feed. Said S. No. 102 covers the prepared aquatic/ poultry/cattle
feed falling under headings 2309 and 2301. This entry does not apply to raw
material/inputs like fish meals or meat cum bone meal (MBM) falling under
heading 2301.
4.3
It is accordingly clarified that fish meals, meat cum bone meal (MBM) etc.,
attract 5% GST under S. No. 103 in notification No. 1/2017- Central Tax (Rate)
dated 28.6.2017
5. Applicable
GST rate on Animal Feed Supplements/feed additives from drugs:
5.1.
Representations have been received seeking clarification regarding GST rate
applicable on Animal Feed Supplements/feed additives from drugs. The dispute is
in classification of Animal Feed Supplements/feed additives from drugs between
tariff heading 2309 and 2936.
5.2
As per the HSN, 2309 interalia covers reading
vitamins and provitamins which improve digestion and,
more generally, ensure that the animal makes good use of the feeds and
safeguard its health. On the other hand, HS code 2936 coves vitamins and provitamins which are medicinal in nature and have much
higher concentration of active substance.
5.4
Thus while deciding the classification of the products claimed to be animal
feed supplements, it may be necessary to ensure that the said animal feed
supplements are ordinarily or commonly known to the trade as products for a
specific use in animal feeding.
5.5
A product deserves classification chapter 29 ( equally applicable to heading
2936), if it is an item of general use, e.g., if a product is of specific use,
say dietary supplement for human being product particularly suitable for a
specific use rather than for general use. Vitamins and provitamins
are normally covered under code heading 2936, but if they’re prepared as food
supplements in the form of tablets, etc. they would not be classifiable under
this heading as the way they are presented, they are suitable for a specific
use. Heading 2309 would cover items like feed supplements for animals that
contain vitamins and other ingredients - such as cereals and proteins. These
are covered in chapter 23 under heading code 2309, or antibiotic preparations
used in animal feeding - for example a dried antibiotic mass on a carrier like
cereal middling. The antibiotic content in these items is usually between 8%
and 16%. Thus, HS code 2309 would cover only such product, which in the form
supplied, are capable of specific use as food supplement for animals and not
capable of any general use. If the vitamins, provitamins
are supplied in a form in which they are capable of general use, i.e. in the
form in which it could be used as inputs or raw materials for further
processing, instead of being ready to use, then these would be classifiable
under heading 2936.
6.
Applicability of GST on supply of Liquefied Petroleum Gas for Domestic Use:
6.1
Representations have been received seeking clarification regarding
applicability of GST rate at 5% on LPG supplied by refiners/fractionators (like
GAIL / ONGC) to Oil Marketing Companies (OMC) for ultimate supply to household
domestic consumers in terms of Ministry of Petroleum and Natural Gas (MoPNG) letter No. P 20023/2/2011-PP dated 23.07.2013. The
references point to the fact that refiners/ fractionators like GAIL and ONGC
are supplying LPG for domestic use to OMCs and this supply is not being treated
as a supply for domestic use by field formations.
6.2
The issue seems to have arisen in the context of addition of S. No. 165A to
notification No.1/2017-Central Tax (Rate) dated 28.6.2017, vide notification
No. 6/2018 dated 25.01.2018. This entry was added on the recommendations of the
GST Council in its 25th meeting, extending 5% GST rate for supply of LPG to
household domestic consumers.
6.3
It is observed that the LPG stream for domestic LPG is differentially priced
and packed differently from commercial LPG. The usage of LPG for domestic
supply is known at the time of supply being made by refiner/fractionators to
OMCs.
6.4
Therefore, it is being clarified that LPG supplied in bulk, whether by a
refiner/fractionator to an OMC or by one OMC to another for bottling and
further supply for domestic use will fall under the S. No. 165A of the
notification No. 1/2017- Central Tax (Rate) dated 28.06.2017 and shall,
accordingly, attract a GST rate of 5%, with effect from 25.1.2018.
7. Applicability
of GST on supply of Polypropylene Woven and Non-Woven Bags and PP Woven and
Non-Woven Bags laminated with BOPP:
7.1
Representations have been received seeking the classification and GST rates on
Polypropylene Woven and Non-Woven Bags and Polypropylene Woven and Non-Woven
Bags laminated with BOPP.
7.2
As per the explanatory notes to the HSN to HS code 39.23, the heading covers
all articles of plastics commonly used for the packing or conveyance of all kinds
of products and includes boxes, crates, cases, sacks and bags.
7.3
Further as per the Chapter note to Chapter 39, the expression
"plastics" means those materials of headings 39.01 to 39.14 which are
or have been capable, either at the moment of polymerization or at some
subsequent stage, of being formed under external influence (usually heat and
pressure, if necessary with a solvent or plasticizer) by moulding,
casting, extruding, rolling or other process into shapes which are retained on
the removal of the external influence.
7.4
Thus it is clarified that Polypropylene Woven and Non-Woven Bags and PP Woven
and Non-Woven Bags laminated with BOPP would be classified as plastic bags
under HS code 3923 and would attract 18% GST.
7.5 Non-laminated
woven bags would be classified as per their constituting materials.
8. Applicability
of GST on supply of wood logs for pulping:
8.1.
Representation has been received seeking clarification on applicability of GST
rate on wood log for pulping. Wood in the rough (whether or not stripped of
bark or sapwood, or roughly squared) is classified under heading 4403 and
attracts 18% GST.
8.2
As per HSN, heading 4403 also covers.
“timber
for sawing; poles for telephone, telegraph or electrical power transmission
lines; unpointed and unsplit
piles, pickets, stakes, poles and props; round pit-props; logs, whether or
not quarter-split, for pulping; round logs for the manufacture of veneer sheets,
etc.; logs for the manufacture of match sticks, wood ware, etc.”.
8.3
Thus, it is clarified that wood logs or any kind of wood in the rough/timber,
including the wood in rough/log/timber used for pulping falls under heading
4403 and attract GST at the rate of 18%.
9. Applicability
of GST on supply of Bagasse based laminated particle board:
9.1
Representation has been received seeking clarification on applicability of GST
rate on Bagasse based laminated particle board. In this context, it is stated
that the Bagasse Board has specific entry at S. No. 92 in Schedule II to the
Notification 1/2017-Central Tax (Rate). Accordingly, the said entry covers
Bagasse boards falling under 44 or any other chapter and 12% GST. Further, it
is also stated the description “Bagasse board” in the said entry also covers
Bagasse board [whether plain or laminated].
9.2
Thus, it is clarified Bagasse board [whether plain or laminated] falling under
chapter 44 will attract concessional GST rate of 12%.
10. Applicability
of GST on supply of embroidered fabric sold in three piece for lady suits:
10.1.
Representations have been received seeking clarification regarding GST rate
applicable on supply of embroidered fabric sold in three pieces fabric pack/set
for lady suits (fabric for suit, salwar and dupatta). It has been
informed that before becoming readymade articles or an apparel, the fabric is
cut from bundles or thans and sold in
that unstitched state with certain embellishment like gota
etc. The consumers buy these sets or pieces and get it tailored which entails
cutting of fabric in shape and stitching thereof. Doubts have arisen as regards
applicable rates on such three fabric pieces in sets/packs.
10.2
Fabrics are classifiable under chapters 50 to 55 and 60 of the First Schedule
to the Customs Tariff Act, 1975 on the basis of their constituent materials and
attract a uniform GST rate of 5%. Garments and made up articles of textiles
under chapters 61, 62 and 63 attract GST at the rate of 5% when value is upto Rs 1000 per piece and 12%
when the value exceeds Rs. 1000 per piece.
10.3
Earlier, vide Circular no. 13/13/2017-CGST dated 27th October 2017, it has been
clarified that mere packing of fabrics into pieces of different lengths will
not change the nature of these goods and such pieces of fabrics would continue
to be classifiable under the respective heading as the fabric and attract the
5% GST rate. This clarification would equally apply to three pieces of fabrics
sold in a pack as ladies salwar suit. Any embroidery on a fabric piece or
certain embellishment thereon does not change the basic nature of their being a
fabric. The chapter 63 covers garment, including the unstitched garments which
may or may not be sufficiently completed to be identifiable as garments or parts
of garments. However, heading 6307 would not cover a fabric pieces or a set of
pre-packed fabric pieces, even if embroidered or embellished. Such set of
fabric pieces would attract GST at the rate of 5%.
11.
Applicability of GST on supply of Waste to Energy Plant:
11.1.
Representations have been received regarding applicable GST rate on the goods
used in the setting up of Waste to Energy plants (WTEP) in term of Sr. No. 234
of Schedule I of Notification No 1/2017-Central Tax (Rates) dated 28th June,
2018. The said entry 234 prescribes 5% rate on the following renewable energy
devices & parts for their manufacture:
(a) Bio-gas plant
(b) Solar power based
devices
(c) Solar power generating
system
(d) Wind mills, Wind
Operated Electricity Generator (WOEG)
(e)
Waste to energy plants / devices
(f) Solar lantern / solar
lamp
(g) Ocean waves/tidal waves
energy devices/plant
(h) Photo voltaic cells,
whether or not assembled in modules or made up into panels
11.2
The notification specifically applies only the goods falling under chapters 84,
85 and 94 of the Tariff. Therefore, this concession would be available only to
such machinery, equipment etc., which fall under Chapter 84, 85 and 94 and used
in the initial setting up of renewable energy plants and devices including
WTEP. This entry does not cover goods falling under other chapters, say a
transport vehicle falling under Chapter 87 that may be used for movement of
waste to WTEP.
11.3
Another related doubt raised is as to how would a supplier
satisfy himself that goods falling under Chapter 84, 85 and 94, say a turbine
or a boiler, required in a WTEP, would be used in the WTEP. In this context it
is clarified that GST is to be self-assessed by a taxpayer. Therefore, he needs
to satisfy himself with the requisite document from a buyer such as supply
contracts/order for WTEP from the concerned authorities before supplying goods
claiming concession under said entry 234.
12. Applicability
of GST on supply of Turbo Charger for railways:
12.1.
Representations have been received seeking clarification regarding
classification and applicable GST rate on Turbo Chargers supplied to railways.
It is stated that some of the supplier are classifying turbo charges supplied
to Railways under Chapter 86 and paying GST at the rate of 5%
12.2
The turbocharger is a turbine-driven forced induction device that increases an
internal combustion engine's efficiency and power output by forcing extra
compressed air into the combustion chamber. It has the compressor powered by a
turbine. The turbine is driven by the exhaust gas from the engine.
12.3
Turbo charger is specifically classified under chapter HS code 8414 80 30. It
continues to remain classified under this code irrespective of its use by
Railways. Therefore, it is clarified that the turbo charger is classified under
heading 8414 and attracts 18% GST.
13. Applicability
of GST on supply of cranes, rigs, tools & Spares and other machinery when
moved from one state to another by a person on his account for there use for supply of service
13.1
As per Circular No. 21/21/2017-GST dated 22.11.2017, it was clarified that no
IGST would be applicable on such interstate movements of rigs, tools &
spares and all goods on wheels. Doubts have been raised regarding applicability
of GST on inter-state movement of machinery like tower cranes, rigs, batching
plants, concrete pumps and mixers which are not mounted on wheels, but require
regular means of conveyance (used by companies in Infrastructure business).
13.2
Any inter-state movement of goods for provision of service on own account by a
service provider, where no transfer of title in such goods or transfer of goods
to the distinct person by way of stock transfer is not involved, does not
constitute a supply of such goods. Hence, it is clarified that any such
movement on own account (not involving distinct person in terms of section 25),
where such movement is not intended for further supply of such goods does not
constitute a supply and would not be liable to GST.
14.
Difficulty, if any, may be brought to the notice of the Board immediately.