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“Time & Place of Supply”
Goods & Service Tax Central Goods & Service Tax Act, 2017 “Time & Place of Supply” Bathinda Branch of NIRC of ICAI Sunday 28th May, 2017 CA Rohit Vaswani, B.Com, FCA, ACMA, LLB, DISA (ICAI)
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Marching towards GST Republic Day, 26th January, 2017
CA Rohit Vaswani
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CGST/SGST/IGST CA Rohit Vaswani
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Five Pillars of GST Law Liability to Pay- Sec.9
Time of Supply- Sec12 & 13 Place of Supply- IGST Act,2017 Sec Value of Taxable Supply- Sec.15 Input Tax Credit- Sec.16-21 CA Rohit Vaswani
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“Time of Supply & Valuation”
“Time of Supply of Goods” – Sec. 12 “Time of Supply of Goods” – Sec. 13 “IGST- Place of Supply” – Sec.7 to 13 CA Rohit Vaswani
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“Time of Supply” (ToS) CA Rohit Vaswani
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Time of Supply Section-12 & 13
Time of Supply of “Goods” Sec-12 Time of Supply of “Services” Sec-13 CA Rohit Vaswani
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Existing Laws- Time/Point of Taxation
Central Excise Payment of duty at the time of removal of goods (Sec.3, 3A, 4 & 4A) Service Tax Issue of Invoice for services provided or to be provided OR receipt of payment, whichever is earlier. (Point of Taxation Rules-2011) VAT At the time of transfer of property in Goods. Conditions of Sale to be fulfilled. CA Rohit Vaswani
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Time of Supply of “GOODS”- Sec.12
Time of Supply of Goods shall be earliest of following dates:- The date of Issue of Invoice by Supplier The last date on which he is required to issue invoice u/s 31 The date of receipt of Payment with respect to the supply The supply shall be deemed to have been made to the extent covered under invoice or payment CA Rohit Vaswani
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Time of Supply of “GOODS”- Sec.12
Date on which payment is made When GST is Liable to be paid on “Reverse Charge”-Earliest of these three events. The date immediately following 30 days from issue of invoice where it is not possible to determine the time of supply as per above, the time of supply shall be the date of entry in the books of account of the recipient Date of receipt of Goods CA Rohit Vaswani
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Time of Supply of “GOODS”- Sec.12
In case of supply of vouchers, by whatever name called, by a supplier, the time of supply shall be- the date of issue of voucher, if the supply is identifiable at that point; or the date of redemption of voucher, in all other cases CA Rohit Vaswani
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Time of Supply of “GOODS”- Sec.12
If “Time of Supply” is not possible to be determined under forgoing provisions- In any other case- the date on which GST is paid If periodic return to be filed- the due date of filing return CA Rohit Vaswani
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Time of Supply of “SERVICES”- Sec.13 (Earliest of following)
The date of issue of invoice by the supplier The last date on which he is required to issue the invoice u/s 31 The date on which the supplier receives the payment CA Rohit Vaswani
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Time of Supply of “Services”- Sec.13
When GST is Liable to be paid on “Reverse Charge”-Earliest of these two events. The date immediately following 60 days from issue of invoice where it is not possible to determine the time of supply as per above, the time of supply shall be the date of entry in the books of account of the recipient Date on which payment is made CA Rohit Vaswani
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Time of Supply of “Services”- Sec.13
in case of supply by associated enterprises, where the supplier of service is located outside India, the time of supply shall be the date of entry in the books of account of the recipient of supply or the date of payment, whichever is earlier CA Rohit Vaswani
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Time of Supply of “Services”- Sec.13
In case of supply of vouchers, by whatever name called, by a supplier, the time of supply shall be- the date of issue of voucher, if the supply is identifiable at that point; or the date of redemption of voucher, in all other cases CA Rohit Vaswani
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Time of Supply of “SERVICES”- Sec.13
If “Time of Supply” is not possible to be determined under forgoing provisions- In any other case- the date on which GST is paid If periodic return to be filed- the due date of filing return CA Rohit Vaswani
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Change in Rate of Tax- Supply of Goods or Services (Sec.14)
Where the Goods or Service have been supplied before the change in rate of tax Where Invoice Issued and Payment also received after change in Rate Date of receipt of payment OR Date of Invoice, whichever is earlier. Where Invoice Issued Prior to change in rate and Payment is received after change in rate Date of Invoice Where Payment is received Prior to change in rate and Invoice is issued after change in rate Date of receipt of payment CA Rohit Vaswani
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Change in Rate of Tax- Supply of Goods or Services (Sec.14)
Where the Goods or Service have been supplied after the change in rate of tax Where Payment is received after change in Rate, but Invoice issued prior to change in Rate Date of receipt of payment Where Invoice Issued Prior to change in rate and Payment is also received prior to change in rate Date of Invoice or receipt of payment, whichever is earlier Where Payment is received Prior to change in rate and Invoice is issued after change in rate Date of issue of Invoice CA Rohit Vaswani
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Change in Rate of Tax- Supply of Services (Sec.14)
the date of receipt of payment” shall be the date on which the payment is entered in the books of account of the supplier or the date on which the payment is credited to his bank account, whichever is earlier CA Rohit Vaswani
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IGST (Integrated Goods & Service Tax)
CA Rohit Vaswani
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“Place of Supply- Goods”
CA Rohit Vaswani
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Constitution of India Article-1
Name and territory of the Union. (1) India, that is Bharat, shall be a Union of States. (2) The States and the territories thereof shall be as specified in the First Schedule. (3) The territory of India shall comprise— (a) the territories of the States; (b) the Union territories specified in the First Schedule; and (c) such other territories as may be acquired. CA Rohit Vaswani
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Existing Constitutional Provisions
Article-269(3) Entry-92A of Union List Parliament may by law formulate principles for determining when a sale or purchase of, or consignment of, goods takes place in the course of inter-State trade or commerce. [92A. Taxes on the sale or purchase of goods other than newspapers, where such sale or purchase takes place in the course of inter-State trade or commerce. CA Rohit Vaswani
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Constitutional Provisions for GST (Inserted w.e.f. 16.09.2016)
Article-269A(5) Article-246A(2) Parliament may, by law, formulate the principles for determining the place of supply, and when a supply of goods, or of services, or both takes place in the course of inter-State trade or commerce. (2) Parliament has exclusive power to make laws with respect to goods and services tax where the supply of goods, or of services, or both takes place in the course of inter-State trade or commerce CA Rohit Vaswani
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Constitutional Provisions for GST (Inserted w.e.f. 16.09.2016)
Article-366 (12A) “goods and services tax” means any tax on supply of goods, or services or both except taxes on the supply of the alcoholic liquor for human consumption Article-266 (26A) “Services” means anything other than goods; CA Rohit Vaswani
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Overview of Relevant Provisions
Sec.7 Inter-State supply Sec.8 Intra-state supply Sec.9 Supplies in territorial waters Sec.10 Place of supply of goods other than supply of goods imported into, or exported from India Sec.11 Place of supply of goods imported into, or exported from India Sec.12 Place of supply of services where location of supplier and recipient is in India Sec.13 Place of supply of services where location of supplier or location of recipient is outside India. CA Rohit Vaswani
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Place of Supply Vis a vis ITC
Registered Location of recipient State in which Place of Supply falls CA Rohit Vaswani
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Invoice Rules Rule-1 “Tax Invoice”
(m) place of supply along with the name of State, in case of a supply in the course of inter-State trade or commerce CA Rohit Vaswani
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Definitions: CGST Act, 2017 Sec.2 (64): “intra-State supply of goods” shall have the same meaning as assigned to it in section 8 of the Integrated Goods and Services Tax Act Sec.2 (65): “intra-State supply of services ” shall have the same meaning as assigned to it in section 8 of the Integrated Goods and Services Tax Act CA Rohit Vaswani
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Definitions: CGST Act, 2017 Sec.2 (2): “address of delivery” means the address of the recipient of goods or services or both indicated on the tax invoice issued by a registered person for delivery of such goods or services or both Sec.2 (3): “address on record” means the address of the recipient as available in the records of the supplier CA Rohit Vaswani
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Definitions: IGST Act, 2017 Sec. 2(14) “location of the recipient of services” means: (a) where a supply is received at a place of business for which the registration has been obtained, the location of such place of business; (b) where a supply is received at a place other than the place of business for which registration has been obtained (a fixed establishment elsewhere), the location of such fixed establishment; CA Rohit Vaswani
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Definitions: IGST Act, 2017 (c) where a supply is received at more than one establishment, whether the place of business or fixed establishment, the location of the establishment most directly concerned with the receipt of the supply; and (d) in absence of such places, the location of the usual place of residence of the recipient CA Rohit Vaswani
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Definitions: IGST Act, 2017 Se.2(15): “location of the supplier of services” means: (a) where a supply is made from a place of business for which the registration has been obtained, the location of such place of business; (b) where a supply is made from a place other than the place of business for which registration has been obtained (a fixed establishment elsewhere), the location of such fixed establishment; CA Rohit Vaswani
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Definitions: IGST Act, 2017 (c) where a supply is made from more than one establishment, whether the place of business or fixed establishment, the location of the establishment most directly concerned with the provision of the supply; and (d) in absence of such places, the location of the usual place of residence of the supplier CA Rohit Vaswani
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Zero-rated supply Sec.2(23)
“zero-rated supply” shall have the meaning assigned to it in section 16 CA Rohit Vaswani
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Two Most Important “Terms”
Location of Supplier Place of Supply CA Rohit Vaswani
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What is Inter-State Supply ?
Inter-State Supply of “Goods” General Rule- Sec.7(1), (2) Where location of supplier and place of supply are in different states/UT. (Subject to Sec.10) Supply of Goods during Import before they crosses customs frontiers of India CA Rohit Vaswani
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What is Inter-State Supply ?
Inter-State Supply of “Services” General Rule- Sec.7(3), (4) Where location of supplier and place of supply are in different states/UT. (Subject to Sec.12) Supply of Services imported into the territory of India shall be Inter-State Supply of Services CA Rohit Vaswani
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What is Inter-State Supply ?
Inter-State Supply of “Goods and/or “Services”- Sec.7(5), (6) & (7) When Supplier is located in India and Place of Supply is outside India, shall be Inter-State Supply Supply to or by SEZ Developer/SEZ Unit, shall be Inter-State Supply Any Supply in the taxable territory other than Intra-State Supply, shall be Inter-State Supply CA Rohit Vaswani
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What is Intra-State Supply ?
Where location of supplier and place of supply are in the same state Supply of “Goods” Sec.8(1) Supply of “Services” Sec.8(2) CA Rohit Vaswani
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Exceptions to Intra-state supply
Supply to or by SEZ Goods imported till they reach India supplies made to a tourist referred to in section 15 Supply of “Goods” Supply of “Services” CA Rohit Vaswani
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Distinct Persons Expl-1
an establishment in India and any other establishment outside India an establishment in a State/UT and any other establishment outside that State/UT Different business verticals registered in the same state/UT CA Rohit Vaswani
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Branch/agency/representational office Expl-2
A person carrying on a business through a branch or an agency or a representational office in any territory shall be treated as having an establishment in that territory CA Rohit Vaswani
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Supplies in territorial waters Sec.9
If “location of the supplier” or “place of supply” is in territorial waters- Coastal State/UT where the nearest point of the appropriate baseline is located, shall be deemed to be location/place CA Rohit Vaswani
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Refund of IGST to International Tourist Sec.15
The integrated tax paid by tourist leaving India on any supply of goods taken out of India by him shall be refunded in such manner and subject to such conditions and safeguards as may be prescribed. Explanation.––For the purposes of this section, the term “tourist” means a person not normally resident in India, who enters India for a stay of not more than six months for legitimate non- immigrant purposes CA Rohit Vaswani
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Zero rated supply Sec.16 Export of Goods and/or Services
Supply of Goods and/or services to SEZ CA Rohit Vaswani
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ITC Refund Zero rated supply Sec.16
ITC can be claimed for making zero rated supply even it may be exempt supply ITC In case of export of goods/services under Bond, un-utilized ITC can be claimed as refund In case of export of goods/services with payment of IGST, refund can be claimed for tax paid on goods/services. Refund CA Rohit Vaswani
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Place of Supply of “Goods” Sec.10
The place of supply of such goods shall be the location of the goods at the time at which the movement of goods terminates for delivery to the recipient Where Supply involves movement of Goods it shall be deemed that the said third person has received the goods and the place of supply of such goods shall be the principal place of business of such person Where Goods are delivered on the direction of third person CA Rohit Vaswani
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Ship to-bill to/sale in transit
whether acting as an agent or otherwise, before or during movement of goods, either by way of transfer of documents of title to the goods or otherwise CA Rohit Vaswani
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Place of Supply of “Goods” Sec.10
The Place of Supply shall be location of such goods at the time of delivery. Where Supply does not involves movement of Goods CA Rohit Vaswani
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Place of Supply of “Goods” Sec.10
Place of Supply shall be place of assembly or installation. Where Goods are assembled or installed at site Place of Supply shall be the location at which Goods are taken on board. Where Goods are supplied on board a conveyance the place of supply shall be determined in such manner as may be prescribed Where Place of Supply cannot be determined CA Rohit Vaswani
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Place of Supply in case of Import/Export of “Goods” Sec.11
Place of Supply shall be location of importer In case of Import of Goods Place of Supply shall be location outside India In case of Export of Goods CA Rohit Vaswani
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“Place of Supply- Services”
CA Rohit Vaswani
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Place of Supply of “Services”: Sec.12
Where location of Supplier and recipient are in India- General Rule Services made to registered person- place of supply shall be location of such person Services made to any other person- place of supply shall be location of recipient, if address on record exists Services made to any other person- place of supply shall be location of supplier, if address on record does not exists CA Rohit Vaswani
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Place of Supply of “Services”: Sec.12
In Case of Immovable Property- Place of Supply shall be location of immovable property, boat or vessel. Sec.12(3) (c) Accommodation for marriage, functions etc. Ancillary services in relation to (a), (b) & (c). If Immovable property or boat/vessel is located out of India- location of recipient (a) Directly in relation to immovable property (b) Lodging accommodation in hotel, guest house, house boat etc. CA Rohit Vaswani
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Place of Supply of “Services”: Sec.12
Place of Supply shall be the location where the services are actually performed In case of restaurant and catering services, personal grooming, fitness, beauty treatment, health service including cosmetic and plastic surgery CA Rohit Vaswani
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Place of Supply of “Services”: Sec.12
In relation to training and performance appraisal to- a registered person, shall be the location of such person a person other than a registered person, shall be the location where the services are actually performed CA Rohit Vaswani
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Place of Supply of “Services”: Sec.12
The Place of Supply shall be the place where the event is actually held or where the park or such other place is located Services provided by way of admission to a cultural, artistic, sporting, scientific, educational, or entertainment event or amusement park or any other place and services ancillary thereto- CA Rohit Vaswani
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Place of Supply of “Services”: Sec.12
Organization of a cultural, artistic, sporting, scientific, educational or entertainment event conference, fair, exhibition, celebration or similar events including ancillary services and sponsorship of above events In case provided to a registered person- place of supply shall be location of such person In case provided to any other person- place of supply shall be the place where the event is actually held If event is held outside India- Place of Supply shall be the location of the recipient CA Rohit Vaswani
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Place of Supply of “Services”: Sec.12
Provided to any other person, shall be the location at which such goods are handed over for their transportation Provided to a registered person, shall be the location of such person Supply of services by way of transportation of goods, including by mail or courier CA Rohit Vaswani
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Place of Supply of “Services”: Sec.12
Supply of passenger transportation service To a registered person, shall be the location of such person To any other person, shall be the place where the passenger embarks on the conveyance for a continuous journey CA Rohit Vaswani
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Place of Supply of “Services”: Sec.12
Place of supply shall be the location of the first scheduled point of departure of that conveyance for the journey Supply of services on board a conveyance such as vessel, aircraft, train or motor vehicle CA Rohit Vaswani
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Place of Supply of “Services”: Sec.12
Telecommunication services including data transfer, broadcasting, cable and direct to home television services In case of fixed telephone line services, where installed for services In case of mobile connection, location of billing address of the recipient of services on record of the supplier services are provided on prepayment through a voucher or any other means, Address of selling agent or where payment is received. In any other case, address of recipient as per record of the supplier. CA Rohit Vaswani
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Place of Supply of “Services”: Sec.12
Banking and other financial services including stock broking services Place of Supply shall be, the location of the recipient of services on the records of the supplier of services If the location of the recipient of services is not on the records of the supplier, the place of supply shall be location of the supplier of services CA Rohit Vaswani
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Place of Supply of “Services”: Sec.12
Supply of insurance services To a registered person, be the location of such person To a person other than a registered person, be the location of the recipient of services on the records of the supplier of services CA Rohit Vaswani
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Place of Supply of “Services”: Sec.12
Advertisement services to the Central Government, a State Government, a statutory body or a local authority Place of supply shall be taken as located in each of such States and the value of such supplies specific to each State shall be in proportion to amount attributable to service provided In the absence of any contract or agreement, on such other basis as may be prescribed CA Rohit Vaswani
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Place of Supply of “Services”- Import /Export of Services Sec.13
In case the location of the recipient of service is not available in the ordinary course of business, the place of supply shall be the location of the supplier of service The place of supply of services except the services specified in subsections shall be the location of the recipient of service Where the location of the supplier of service or the location of the recipient of service is outside India CA Rohit Vaswani
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Place of Supply of “Services”- Import /Export of Services Sec.13
Services on goods physically made available by recipient Sec.13(3)(a) Where the services are performed Services on Goods temporarily imported Proviso to 13(3)(a) Recipient of Service Services provided from Remote Location Location of Goods CA Rohit Vaswani
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Place of Supply of “Services”- Import /Export of Services Sec.13
Services requiring physical presence of individual Sec.13(3)(b) Where services are performed In relation to immovable property Sec.13(4) Location of Immovable Property Organization of event (Cultural, artistic, sporting etc.) Sec.13(5) Where the event is actually held CA Rohit Vaswani
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Place of Supply of “Services”- Import /Export of Services Sec.13
If above services are provided in taxable territory also Sec.13(6) Location of taxable territory If above services are provided in more than one state Sec.13(7) Each such state proportionately Services provided by Banks or NBFC Sec.13(8) Location of Supplier CA Rohit Vaswani
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Place of Supply of “Services”- Import /Export of Services Sec.13
Intermediary Services Sec.13(8) Location of Supplier Hiring of vehicles up to one month Transportation of Goods Sec.13(9) Destination of Goods CA Rohit Vaswani
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Place of Supply of “Services”- Import /Export of Services Sec.13
Transportation of passenger Sec.13(10) Where passenger embarks for journey On board a conveyance Sec.13(11) First scheduled point of departure Online information or database access services Sec.13(12) Location of recipient of service CA Rohit Vaswani
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Place of Supply of “Services”- Import /Export of Services Sec.13
For Sec.13(12): Recipient shall be deemed to be in Taxable Territory, if to non-contradictory conditions are satisfied: Location of address through internet is in taxable territory The IP of device used is in taxable territory Billing Address is in taxable territory If Credit Card etc. has been issued in taxable territory Bank account used for payment is in taxable territory Country code of SIM Card is of taxable territory Location of fixed land line is in taxable territory CA Rohit Vaswani
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Place of Supply of “Services”- Import /Export of Services Sec.13
In order to prevent double taxation or non-taxation of the supply of a service Or for the uniform application of rules the Government shall have the power to notify any description of services or circumstances in which the place of supply shall be the place of effective use and enjoyment of a service CA Rohit Vaswani
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Thank You CA Rohit Vaswani
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