SlideShare una empresa de Scribd logo
1 de 1
Descargar para leer sin conexión
Some transactions fall between service tax and VAT


September, 15th 2008

          A recurring challenge in indirect taxes is that of double taxation of a single transaction. The challenge comes
about because a particular transaction is both deemed to be a supply of goods, in terms of the State sales tax/value added
tax definitions, as also a provision of services, under the central service tax law.
          The Supreme Court, in its decision in Bharat Sanchar Nigam Ltd Vs UOI [(2006) 145 STC
91], had of course held that double taxation was impermissible and that transactions could only be charged to one of the
two taxes and not to both.
          An equally important challenge however is the prospect of double non-taxation in that a transaction is neither
charged to the State VAT nor to the central service tax. Of course, pure services which are currently outside the ambit of
service tax law and which are unrelated to the supply of goods are not charged to any indirect taxes at all at present but the
challenge is really with regard to those transactions which are intended to be taxed but which not charged to either the VAT
or the service tax as a result of the wordings of the underlying provisions contained in the respective statutes and their
interpretation by the Courts.
          One such challenge was with regard to the taxation of the transfer of the right to use tangible goods. Now, it is an
obvious point that the relevant tax in relation to such transactions of goods would be the sales tax or VAT. Prior to the 46th
Amendment to the Constitution of India in 1983, only the outright sales of goods were chargeable to the sales tax. It was
only subsequent to this landmark amendment that several categories of ‘deemed sales’ of the kind described thereunder
were also charged to the State sales tax law.
          One such category of deemed sales related to the transfer of the right to use goods. Consequently, while there was
no sale of goods, in that property and ownership in goods was never transferred, nevertheless transfers of the right to use
such goods were brought within the ambit of the sales tax.
          This has led to a spate of litigation on what constitutes a transfer of the right to use, in order for the sales tax to
apply. In a landmark case, the Andhra Pradesh High Court in Rashtriya Ispat Nigam Ltd. Vs. CTO [1990]
43 STL 67) held that in terms of the particular contractual agreement under reference, the effective control and
possession of the machinery that was used in the execution of the contracted works continued to remain with the person
who supplied the machinery for the purpose.
          In the instant case, it was the company which was the owner of the project in question that had supplied the
machinery in order for the contractor to put up the works.The Court held that there was no transfer of the right to use the
machinery in the complete absence of passage of control over the economic benefit of the property.
          Following this decision, several other high courts have held to similar effect that unless there was transfer of
effective control over the goods, the sales tax or VAT laws cannot apply. Two recent decisions in this regard have been by
the Allahabad High Court in Commissioner of Trade Tax Vs. UPSRTC[2008] 16 VST 226) and
Commissioner of Trade Tax Vs. Nand Transport Co. [2008] 16 VST 381).
          It is therefore settled that in the absence of any transfer of the right to use the underlying goods, the VAT laws will
not apply. Such transactions were therefore outside the purview of the goods tax and were equally outside the purview of
the service tax as well.
          However, the recently introduced definition of the service of supply of tangible goods is intended to address this
particular matter of the double non-taxation of a transaction which was intended to be taxed but was not so taxed, as a
result of the above case law. This new definition states that any service in relation to supply of tangible goods including
machinery, equipment and appliances for use, without transferring the right of possession and effective control thereof,
would be charged to the service tax.
          Since such a transaction does not, in terms, amount to a transfer of the right to use goods, the idea is to charge it to
the service tax since the goods tax in the form of the VAT cannot apply. The key expression in this definition is ‘without
transferring the right of possession and effective control’. This expression is almost entirely extracted out of the above
decisions of the Courts on sales tax and the endeavour is quite clearly to tax such a transaction to the service tax.
          The issue of whether a transaction where the right of possession and effective control is not transferred is taxable
under service tax law has been discussed in relation to certain other definitions of taxable services as well, such as ‘rent a
cab’ operator services as well as ‘intellectual property services’. In relation to rent a cab operator service, the key words are
with regard to the ‘renting of a cab’.
          In a situation where cab services are procured without the control and possession of the cab being transferred to
the user, the question was whether the definition would apply at all. As regards intellectual property services, the issue is
slightly more complicated as it extends not only to temporary transfers but also to transactions whereby the use or
enjoyment of an intellectual property right is permitted.
          There have been several instances where the application of these other definitions has been seriously disputed, in
the absence of a ‘transfer’ of the underlying goods. However, with the introduction of the definition of supply of tangible
goods services, it clearly is the position that in all such instances the service tax will now apply. The VAT will not apply
and thus only the one indirect tax will be charged.

Más contenido relacionado

Más de Shiva Shankara

3 Stupid Stages Of Life
3 Stupid Stages Of Life3 Stupid Stages Of Life
3 Stupid Stages Of LifeShiva Shankara
 
Status Of The President Under The Constitution
Status Of The President Under The ConstitutionStatus Of The President Under The Constitution
Status Of The President Under The ConstitutionShiva Shankara
 
Consolidated Digest Of Case Laws Jan 2009 To Dec 2009
Consolidated Digest Of Case Laws   Jan 2009 To Dec 2009Consolidated Digest Of Case Laws   Jan 2009 To Dec 2009
Consolidated Digest Of Case Laws Jan 2009 To Dec 2009Shiva Shankara
 
Status Of The President Under The Constitution
Status Of The President Under The ConstitutionStatus Of The President Under The Constitution
Status Of The President Under The ConstitutionShiva Shankara
 
Formation Of Charitable Trust
Formation Of Charitable TrustFormation Of Charitable Trust
Formation Of Charitable TrustShiva Shankara
 
Freedom Of Speech And Expression Vis à Vis Censorship
Freedom Of Speech And Expression Vis à Vis CensorshipFreedom Of Speech And Expression Vis à Vis Censorship
Freedom Of Speech And Expression Vis à Vis CensorshipShiva Shankara
 
Impact Of M&A On Employees & Working Conditions
Impact Of M&A On Employees & Working ConditionsImpact Of M&A On Employees & Working Conditions
Impact Of M&A On Employees & Working ConditionsShiva Shankara
 
Aspects Of E Mail As Evidence In India
Aspects Of E Mail As Evidence In IndiaAspects Of E Mail As Evidence In India
Aspects Of E Mail As Evidence In IndiaShiva Shankara
 
Guidance Note On Tax Audit Under Section 44 Ab Of The Income Tax Act, 1961
Guidance Note On Tax Audit Under Section 44 Ab Of The Income Tax Act, 1961Guidance Note On Tax Audit Under Section 44 Ab Of The Income Tax Act, 1961
Guidance Note On Tax Audit Under Section 44 Ab Of The Income Tax Act, 1961Shiva Shankara
 
3 Stupid Stages Of Life
3 Stupid Stages Of Life3 Stupid Stages Of Life
3 Stupid Stages Of LifeShiva Shankara
 

Más de Shiva Shankara (20)

Ourplanetearth 1
Ourplanetearth 1Ourplanetearth 1
Ourplanetearth 1
 
Heartdiseases1
Heartdiseases1Heartdiseases1
Heartdiseases1
 
Personality Analysis
Personality AnalysisPersonality Analysis
Personality Analysis
 
Art On The Road
Art On The RoadArt On The Road
Art On The Road
 
Angel Falls
Angel FallsAngel Falls
Angel Falls
 
3 Stupid Stages Of Life
3 Stupid Stages Of Life3 Stupid Stages Of Life
3 Stupid Stages Of Life
 
Sec. 372 A
Sec. 372 ASec. 372 A
Sec. 372 A
 
Status Of The President Under The Constitution
Status Of The President Under The ConstitutionStatus Of The President Under The Constitution
Status Of The President Under The Constitution
 
Consolidated Digest Of Case Laws Jan 2009 To Dec 2009
Consolidated Digest Of Case Laws   Jan 2009 To Dec 2009Consolidated Digest Of Case Laws   Jan 2009 To Dec 2009
Consolidated Digest Of Case Laws Jan 2009 To Dec 2009
 
Expression Of Egg!!!!
Expression Of Egg!!!!Expression Of Egg!!!!
Expression Of Egg!!!!
 
Status Of The President Under The Constitution
Status Of The President Under The ConstitutionStatus Of The President Under The Constitution
Status Of The President Under The Constitution
 
Formation Of Charitable Trust
Formation Of Charitable TrustFormation Of Charitable Trust
Formation Of Charitable Trust
 
Freedom Of Speech And Expression Vis à Vis Censorship
Freedom Of Speech And Expression Vis à Vis CensorshipFreedom Of Speech And Expression Vis à Vis Censorship
Freedom Of Speech And Expression Vis à Vis Censorship
 
Impact Of M&A On Employees & Working Conditions
Impact Of M&A On Employees & Working ConditionsImpact Of M&A On Employees & Working Conditions
Impact Of M&A On Employees & Working Conditions
 
Aspects Of E Mail As Evidence In India
Aspects Of E Mail As Evidence In IndiaAspects Of E Mail As Evidence In India
Aspects Of E Mail As Evidence In India
 
Guidance Note On Tax Audit Under Section 44 Ab Of The Income Tax Act, 1961
Guidance Note On Tax Audit Under Section 44 Ab Of The Income Tax Act, 1961Guidance Note On Tax Audit Under Section 44 Ab Of The Income Tax Act, 1961
Guidance Note On Tax Audit Under Section 44 Ab Of The Income Tax Act, 1961
 
Nothing Is Impossible
Nothing Is ImpossibleNothing Is Impossible
Nothing Is Impossible
 
Art On The Road
Art On The RoadArt On The Road
Art On The Road
 
Negotiation
NegotiationNegotiation
Negotiation
 
3 Stupid Stages Of Life
3 Stupid Stages Of Life3 Stupid Stages Of Life
3 Stupid Stages Of Life
 

Último

Fordham -How effective decision-making is within the IT department - Analysis...
Fordham -How effective decision-making is within the IT department - Analysis...Fordham -How effective decision-making is within the IT department - Analysis...
Fordham -How effective decision-making is within the IT department - Analysis...Peter Ward
 
(Best) ENJOY Call Girls in Faridabad Ex | 8377087607
(Best) ENJOY Call Girls in Faridabad Ex | 8377087607(Best) ENJOY Call Girls in Faridabad Ex | 8377087607
(Best) ENJOY Call Girls in Faridabad Ex | 8377087607dollysharma2066
 
Chapter 9 PPT 4th edition.pdf internal audit
Chapter 9 PPT 4th edition.pdf internal auditChapter 9 PPT 4th edition.pdf internal audit
Chapter 9 PPT 4th edition.pdf internal auditNhtLNguyn9
 
Flow Your Strategy at Flight Levels Day 2024
Flow Your Strategy at Flight Levels Day 2024Flow Your Strategy at Flight Levels Day 2024
Flow Your Strategy at Flight Levels Day 2024Kirill Klimov
 
Call Girls Contact Number Andheri 9920874524
Call Girls Contact Number Andheri 9920874524Call Girls Contact Number Andheri 9920874524
Call Girls Contact Number Andheri 9920874524najka9823
 
Traction part 2 - EOS Model JAX Bridges.
Traction part 2 - EOS Model JAX Bridges.Traction part 2 - EOS Model JAX Bridges.
Traction part 2 - EOS Model JAX Bridges.Anamaria Contreras
 
PB Project 1: Exploring Your Personal Brand
PB Project 1: Exploring Your Personal BrandPB Project 1: Exploring Your Personal Brand
PB Project 1: Exploring Your Personal BrandSharisaBethune
 
Call US-88OO1O2216 Call Girls In Mahipalpur Female Escort Service
Call US-88OO1O2216 Call Girls In Mahipalpur Female Escort ServiceCall US-88OO1O2216 Call Girls In Mahipalpur Female Escort Service
Call US-88OO1O2216 Call Girls In Mahipalpur Female Escort Servicecallgirls2057
 
FULL ENJOY Call girls in Paharganj Delhi | 8377087607
FULL ENJOY Call girls in Paharganj Delhi | 8377087607FULL ENJOY Call girls in Paharganj Delhi | 8377087607
FULL ENJOY Call girls in Paharganj Delhi | 8377087607dollysharma2066
 
8447779800, Low rate Call girls in Kotla Mubarakpur Delhi NCR
8447779800, Low rate Call girls in Kotla Mubarakpur Delhi NCR8447779800, Low rate Call girls in Kotla Mubarakpur Delhi NCR
8447779800, Low rate Call girls in Kotla Mubarakpur Delhi NCRashishs7044
 
The-Ethical-issues-ghhhhhhhhjof-Byjus.pptx
The-Ethical-issues-ghhhhhhhhjof-Byjus.pptxThe-Ethical-issues-ghhhhhhhhjof-Byjus.pptx
The-Ethical-issues-ghhhhhhhhjof-Byjus.pptxmbikashkanyari
 
Ten Organizational Design Models to align structure and operations to busines...
Ten Organizational Design Models to align structure and operations to busines...Ten Organizational Design Models to align structure and operations to busines...
Ten Organizational Design Models to align structure and operations to busines...Seta Wicaksana
 
APRIL2024_UKRAINE_xml_0000000000000 .pdf
APRIL2024_UKRAINE_xml_0000000000000 .pdfAPRIL2024_UKRAINE_xml_0000000000000 .pdf
APRIL2024_UKRAINE_xml_0000000000000 .pdfRbc Rbcua
 
MAHA Global and IPR: Do Actions Speak Louder Than Words?
MAHA Global and IPR: Do Actions Speak Louder Than Words?MAHA Global and IPR: Do Actions Speak Louder Than Words?
MAHA Global and IPR: Do Actions Speak Louder Than Words?Olivia Kresic
 
Unlocking the Future: Explore Web 3.0 Workshop to Start Earning Today!
Unlocking the Future: Explore Web 3.0 Workshop to Start Earning Today!Unlocking the Future: Explore Web 3.0 Workshop to Start Earning Today!
Unlocking the Future: Explore Web 3.0 Workshop to Start Earning Today!Doge Mining Website
 
8447779800, Low rate Call girls in Dwarka mor Delhi NCR
8447779800, Low rate Call girls in Dwarka mor Delhi NCR8447779800, Low rate Call girls in Dwarka mor Delhi NCR
8447779800, Low rate Call girls in Dwarka mor Delhi NCRashishs7044
 
8447779800, Low rate Call girls in Shivaji Enclave Delhi NCR
8447779800, Low rate Call girls in Shivaji Enclave Delhi NCR8447779800, Low rate Call girls in Shivaji Enclave Delhi NCR
8447779800, Low rate Call girls in Shivaji Enclave Delhi NCRashishs7044
 
Appkodes Tinder Clone Script with Customisable Solutions.pptx
Appkodes Tinder Clone Script with Customisable Solutions.pptxAppkodes Tinder Clone Script with Customisable Solutions.pptx
Appkodes Tinder Clone Script with Customisable Solutions.pptxappkodes
 
8447779800, Low rate Call girls in Uttam Nagar Delhi NCR
8447779800, Low rate Call girls in Uttam Nagar Delhi NCR8447779800, Low rate Call girls in Uttam Nagar Delhi NCR
8447779800, Low rate Call girls in Uttam Nagar Delhi NCRashishs7044
 

Último (20)

Fordham -How effective decision-making is within the IT department - Analysis...
Fordham -How effective decision-making is within the IT department - Analysis...Fordham -How effective decision-making is within the IT department - Analysis...
Fordham -How effective decision-making is within the IT department - Analysis...
 
(Best) ENJOY Call Girls in Faridabad Ex | 8377087607
(Best) ENJOY Call Girls in Faridabad Ex | 8377087607(Best) ENJOY Call Girls in Faridabad Ex | 8377087607
(Best) ENJOY Call Girls in Faridabad Ex | 8377087607
 
Chapter 9 PPT 4th edition.pdf internal audit
Chapter 9 PPT 4th edition.pdf internal auditChapter 9 PPT 4th edition.pdf internal audit
Chapter 9 PPT 4th edition.pdf internal audit
 
Flow Your Strategy at Flight Levels Day 2024
Flow Your Strategy at Flight Levels Day 2024Flow Your Strategy at Flight Levels Day 2024
Flow Your Strategy at Flight Levels Day 2024
 
Call Girls Contact Number Andheri 9920874524
Call Girls Contact Number Andheri 9920874524Call Girls Contact Number Andheri 9920874524
Call Girls Contact Number Andheri 9920874524
 
Traction part 2 - EOS Model JAX Bridges.
Traction part 2 - EOS Model JAX Bridges.Traction part 2 - EOS Model JAX Bridges.
Traction part 2 - EOS Model JAX Bridges.
 
PB Project 1: Exploring Your Personal Brand
PB Project 1: Exploring Your Personal BrandPB Project 1: Exploring Your Personal Brand
PB Project 1: Exploring Your Personal Brand
 
Call US-88OO1O2216 Call Girls In Mahipalpur Female Escort Service
Call US-88OO1O2216 Call Girls In Mahipalpur Female Escort ServiceCall US-88OO1O2216 Call Girls In Mahipalpur Female Escort Service
Call US-88OO1O2216 Call Girls In Mahipalpur Female Escort Service
 
FULL ENJOY Call girls in Paharganj Delhi | 8377087607
FULL ENJOY Call girls in Paharganj Delhi | 8377087607FULL ENJOY Call girls in Paharganj Delhi | 8377087607
FULL ENJOY Call girls in Paharganj Delhi | 8377087607
 
8447779800, Low rate Call girls in Kotla Mubarakpur Delhi NCR
8447779800, Low rate Call girls in Kotla Mubarakpur Delhi NCR8447779800, Low rate Call girls in Kotla Mubarakpur Delhi NCR
8447779800, Low rate Call girls in Kotla Mubarakpur Delhi NCR
 
Enjoy ➥8448380779▻ Call Girls In Sector 18 Noida Escorts Delhi NCR
Enjoy ➥8448380779▻ Call Girls In Sector 18 Noida Escorts Delhi NCREnjoy ➥8448380779▻ Call Girls In Sector 18 Noida Escorts Delhi NCR
Enjoy ➥8448380779▻ Call Girls In Sector 18 Noida Escorts Delhi NCR
 
The-Ethical-issues-ghhhhhhhhjof-Byjus.pptx
The-Ethical-issues-ghhhhhhhhjof-Byjus.pptxThe-Ethical-issues-ghhhhhhhhjof-Byjus.pptx
The-Ethical-issues-ghhhhhhhhjof-Byjus.pptx
 
Ten Organizational Design Models to align structure and operations to busines...
Ten Organizational Design Models to align structure and operations to busines...Ten Organizational Design Models to align structure and operations to busines...
Ten Organizational Design Models to align structure and operations to busines...
 
APRIL2024_UKRAINE_xml_0000000000000 .pdf
APRIL2024_UKRAINE_xml_0000000000000 .pdfAPRIL2024_UKRAINE_xml_0000000000000 .pdf
APRIL2024_UKRAINE_xml_0000000000000 .pdf
 
MAHA Global and IPR: Do Actions Speak Louder Than Words?
MAHA Global and IPR: Do Actions Speak Louder Than Words?MAHA Global and IPR: Do Actions Speak Louder Than Words?
MAHA Global and IPR: Do Actions Speak Louder Than Words?
 
Unlocking the Future: Explore Web 3.0 Workshop to Start Earning Today!
Unlocking the Future: Explore Web 3.0 Workshop to Start Earning Today!Unlocking the Future: Explore Web 3.0 Workshop to Start Earning Today!
Unlocking the Future: Explore Web 3.0 Workshop to Start Earning Today!
 
8447779800, Low rate Call girls in Dwarka mor Delhi NCR
8447779800, Low rate Call girls in Dwarka mor Delhi NCR8447779800, Low rate Call girls in Dwarka mor Delhi NCR
8447779800, Low rate Call girls in Dwarka mor Delhi NCR
 
8447779800, Low rate Call girls in Shivaji Enclave Delhi NCR
8447779800, Low rate Call girls in Shivaji Enclave Delhi NCR8447779800, Low rate Call girls in Shivaji Enclave Delhi NCR
8447779800, Low rate Call girls in Shivaji Enclave Delhi NCR
 
Appkodes Tinder Clone Script with Customisable Solutions.pptx
Appkodes Tinder Clone Script with Customisable Solutions.pptxAppkodes Tinder Clone Script with Customisable Solutions.pptx
Appkodes Tinder Clone Script with Customisable Solutions.pptx
 
8447779800, Low rate Call girls in Uttam Nagar Delhi NCR
8447779800, Low rate Call girls in Uttam Nagar Delhi NCR8447779800, Low rate Call girls in Uttam Nagar Delhi NCR
8447779800, Low rate Call girls in Uttam Nagar Delhi NCR
 

Some Transactions Fall Between Service Tax And Vat

  • 1. Some transactions fall between service tax and VAT September, 15th 2008 A recurring challenge in indirect taxes is that of double taxation of a single transaction. The challenge comes about because a particular transaction is both deemed to be a supply of goods, in terms of the State sales tax/value added tax definitions, as also a provision of services, under the central service tax law. The Supreme Court, in its decision in Bharat Sanchar Nigam Ltd Vs UOI [(2006) 145 STC 91], had of course held that double taxation was impermissible and that transactions could only be charged to one of the two taxes and not to both. An equally important challenge however is the prospect of double non-taxation in that a transaction is neither charged to the State VAT nor to the central service tax. Of course, pure services which are currently outside the ambit of service tax law and which are unrelated to the supply of goods are not charged to any indirect taxes at all at present but the challenge is really with regard to those transactions which are intended to be taxed but which not charged to either the VAT or the service tax as a result of the wordings of the underlying provisions contained in the respective statutes and their interpretation by the Courts. One such challenge was with regard to the taxation of the transfer of the right to use tangible goods. Now, it is an obvious point that the relevant tax in relation to such transactions of goods would be the sales tax or VAT. Prior to the 46th Amendment to the Constitution of India in 1983, only the outright sales of goods were chargeable to the sales tax. It was only subsequent to this landmark amendment that several categories of ‘deemed sales’ of the kind described thereunder were also charged to the State sales tax law. One such category of deemed sales related to the transfer of the right to use goods. Consequently, while there was no sale of goods, in that property and ownership in goods was never transferred, nevertheless transfers of the right to use such goods were brought within the ambit of the sales tax. This has led to a spate of litigation on what constitutes a transfer of the right to use, in order for the sales tax to apply. In a landmark case, the Andhra Pradesh High Court in Rashtriya Ispat Nigam Ltd. Vs. CTO [1990] 43 STL 67) held that in terms of the particular contractual agreement under reference, the effective control and possession of the machinery that was used in the execution of the contracted works continued to remain with the person who supplied the machinery for the purpose. In the instant case, it was the company which was the owner of the project in question that had supplied the machinery in order for the contractor to put up the works.The Court held that there was no transfer of the right to use the machinery in the complete absence of passage of control over the economic benefit of the property. Following this decision, several other high courts have held to similar effect that unless there was transfer of effective control over the goods, the sales tax or VAT laws cannot apply. Two recent decisions in this regard have been by the Allahabad High Court in Commissioner of Trade Tax Vs. UPSRTC[2008] 16 VST 226) and Commissioner of Trade Tax Vs. Nand Transport Co. [2008] 16 VST 381). It is therefore settled that in the absence of any transfer of the right to use the underlying goods, the VAT laws will not apply. Such transactions were therefore outside the purview of the goods tax and were equally outside the purview of the service tax as well. However, the recently introduced definition of the service of supply of tangible goods is intended to address this particular matter of the double non-taxation of a transaction which was intended to be taxed but was not so taxed, as a result of the above case law. This new definition states that any service in relation to supply of tangible goods including machinery, equipment and appliances for use, without transferring the right of possession and effective control thereof, would be charged to the service tax. Since such a transaction does not, in terms, amount to a transfer of the right to use goods, the idea is to charge it to the service tax since the goods tax in the form of the VAT cannot apply. The key expression in this definition is ‘without transferring the right of possession and effective control’. This expression is almost entirely extracted out of the above decisions of the Courts on sales tax and the endeavour is quite clearly to tax such a transaction to the service tax. The issue of whether a transaction where the right of possession and effective control is not transferred is taxable under service tax law has been discussed in relation to certain other definitions of taxable services as well, such as ‘rent a cab’ operator services as well as ‘intellectual property services’. In relation to rent a cab operator service, the key words are with regard to the ‘renting of a cab’. In a situation where cab services are procured without the control and possession of the cab being transferred to the user, the question was whether the definition would apply at all. As regards intellectual property services, the issue is slightly more complicated as it extends not only to temporary transfers but also to transactions whereby the use or enjoyment of an intellectual property right is permitted. There have been several instances where the application of these other definitions has been seriously disputed, in the absence of a ‘transfer’ of the underlying goods. However, with the introduction of the definition of supply of tangible goods services, it clearly is the position that in all such instances the service tax will now apply. The VAT will not apply and thus only the one indirect tax will be charged.