© Lakshmikumaran & Sridharan, 2011 1 1 ‘ SCOPE OF TAXATION AND ISSUES’ -N. MATHIVANAN.

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Presentation transcript:

© Lakshmikumaran & Sridharan, ‘ SCOPE OF TAXATION AND ISSUES’ -N. MATHIVANAN

© Lakshmikumaran & Sridharan, BUSINESS SUPPORT SERVICES COVERAGE BUSINESS AUXILARY SERVICES

© Lakshmikumaran & Sridharan, BUSINESS AUXILARY SERVICES

© Lakshmikumaran & Sridharan, Definition ‘Business auxiliary service’ means any service in relation to. – (i)promotion or marketing or sale of goods produced or provided by or belonging to the client; or (ii)promotion or marketing of service provided by the client; or (iii)any customer care service provided on behalf of the client; or (iv)an incidental or auxiliary support services such as billing, collection or recovery of cheques, accounts and remittances, evaluation of prospective customer and public relation services and includes services as a commission agent, but does not include any information technology service.”

© Lakshmikumaran & Sridharan, Definition “65(19)“business auxiliary service” means any service in relation to, — (i)promotion or marketing or sale of goods produced or provided by or belonging to the client; or (ii)promotion or marketing of service provided by the client; or (iii)any customer care service provided on behalf of the client; or (iv)procurement of goods or services, which are inputs for the client; or (v)production of goods on behalf of the client; or (vi)provision of service on behalf of the client; or (vii)a service incidental or auxiliary to any activity specified in sub-clauses (i) to (vi), such as billing, issue or collection or recovery of cheques, payments, maintenance of accounts and remittance, inventory management, evaluation or development of prospective customer or vendor, public relation services, management or supervision, and includes services as a commission agent, but does not include any information technology service and any activity that amounts to “manufacture” within the meaning of clause (f) of section 2 of the Central Excise Act, 1944 (1 of 1944).

© Lakshmikumaran & Sridharan, Definition Onwards 65(19) “business auxiliary service” means any service in relation to, — (i) promotion or marketing or sale of goods produced or provided by or belonging to the client; or (ii) promotion or marketing of service provided by the client; or (iii) any customer care service provided on behalf of the client; or (iv) procurement of goods or services, which are inputs for the client; or Explanation.— For the removal of doubts, it is hereby declared that for the purposes of this sub-clause, “inputs” means all goods or services intended for use by the client; (v) production or processing of goods for, or on behalf of, the client; (vi) provision of service on behalf of the client; or (vii) a service incidental or auxiliary to any activity specified in sub-clauses (i) to (vi), such as billing, issue or collection or recovery of cheques, payments, maintenance of accounts and remittance, inventory management, evaluation or development of prospective customer or vendor, public relation services, management or supervision, and includes services as a commission agent, but does not include any information technology service and any activity that amounts to “manufacture” within the meaning of clause (f) of section 2 of the Central Excise Act, 1944 (1 of 1944).

© Lakshmikumaran & Sridharan, Definition Onwards 65(19) “business auxiliary service” means any service in relation to, — (i) promotion or marketing or sale of goods produced or provided by or belonging to the client; or (ii) promotion or marketing of service provided by the client; or (iii) any customer care service provided on behalf of the client; or (iv) procurement of goods or services, which are inputs for the client; or Explanation.— For the removal of doubts, it is hereby declared that for the purposes of this sub-clause, “inputs” means all goods or services intended for use by the client; (v) production or processing of goods for, or on behalf of, the client; (vi) provision of service on behalf of the client; or (vii) a service incidental or auxiliary to any activity specified in sub-clauses (i) to (vi), such as billing, issue or collection or recovery of cheques, payments, maintenance of accounts and remittance, inventory management, evaluation or development of prospective customer or vendor, public relation services, management or supervision, and includes services as a commission agent, but does not include any information technology service and any activity that amount to “manufacture” of excisable goods.

© Lakshmikumaran & Sridharan, Clause (i)  promotion or marketing of goods produced or provided by or belonging to the client.  Ownership relevant or not?  Difference between commission agent and promotion or marketing or sale of goods of client

© Lakshmikumaran & Sridharan, Clause (ii)  Promotion or marketing of services provided by the client.  Illustrations:  Jet Lite  Sample collection centres {Dr. Lal Path Labs}

© Lakshmikumaran & Sridharan, Clause (iii)  any customer care services provided on behalf of the client  Illustrations  Call centre services

© Lakshmikumaran & Sridharan, Clause (iv)  Procurement of goods and services which are inputs for the client  Meaning given to the term “inputs”  Is sale of goods made on order and sold by a person covered under this clause?

© Lakshmikumaran & Sridharan, Clause (v)  From to  Production of goods on behalf of the client Auto coats Sonic watch  From  Production or processing of goods for, or on behalf of, the client

© Lakshmikumaran & Sridharan, NOTIFICATION 8/2005-ST  Production or processing of goods for, or on behalf of, the client [clause (v)]  Using raw material/semi finished goods supplied by the client  Goods produced or processed are returned to the clients  For use in or in relation to dutiable goods  Exempted from the whole of service tax

© Lakshmikumaran & Sridharan, Clause (vi)  Provision of service ‘on behalf’ the client  ‘On behalf of’ in this clause clarifies further that it is different from ‘for’

© Lakshmikumaran & Sridharan, Notification 14/2004 [ amended vide Notification 19/2005 & 19/2006 ]  the taxable service provided to a client  by any person in relation to the business auxiliary service,  has been exempted from the whole of the service tax leviable thereon under section 66 of the Act  in so far as it relates to:  procurement of goods or services, which are inputs for the client;  production or processing of goods for, or on behalf of, the client;  provision of service on behalf of the client; or  a service incidental or auxiliary to the above specified services  and provided in relation to agriculture, printing, textile processing or education.

© Lakshmikumaran & Sridharan, Amendment vide Finance Act 2009  But does not include any activity that amounts to ‘manufacture’ within the meaning of clause (f) of section 2 of the Central Excise Act,  But does not include manufacture of any ‘excisable goods’

© Lakshmikumaran & Sridharan, Amendment vide Finance Act 2009  Excisable goods – Section 2(d) of CEA, 1944 –Means goods specified in the First Schedule and the Second Schedule to the Central Excise Tariff Act, 1985 as being subject to a duty of excise and includes salt.  Goods – Section 2(7) of Sale of Goods Act, 1930 –Means every kind of moveable property other than actionable claims and money; and includes stock and shares, growing crops, grass, and things attached to or forming part of the land which are agreed to be severed before sale or under the contract of sale.

© Lakshmikumaran & Sridharan, Amendment vide Finance Act 2009  Manufacture – Section 2(f) of CEA, 1944  Includes any process, - (i) incidental or ancillary to the completion of a manufactured product; (ii) which is specified in relation to any goods in the Section or Chapter notes of the First Schedule to the Central Excise Tariff Act, 1985 as amounting to manufacture; or

© Lakshmikumaran & Sridharan, Amendment vide Finance Act 2009  Includes any process … (iii) which in relation to the goods specified in the Third Schedule, involves packing or repacking of such goods in a unit container or labelling or re-labelling of containers including the declaration or alteration of retail sale price on it or adoption of any other treatment on the goods to render the product marketable to the consumer, And the word ‘manufacturer’ shall be construed accordingly and shall include not only a person who employs hired labour in the production or manufacture of excisable goods, but also any person who engages in their production or manufacture on his own account.

© Lakshmikumaran & Sridharan, Amendment vide Finance Act 2009  Business Auxiliary Service –Excludes manufacturing of excisable goods  Packaging Activity Service –Does not include any packaging activity that amounts to ‘manufacture’ within the meaning of section 2(f) of CEA

© Lakshmikumaran & Sridharan, Amendment vide Finance Act 2009  Job-work of manufacture of:  Excisable goods if exempt ?  Potable Alcohol?  Som Distilleries –2009-TIOL-292 LB of M.P High Court  Circular dated issued by CBEC  Medicinal & toilet preparations containing alcohol?  Rubicon Formulation reported at 19 STR 515  Job work of generation of Electricity?  Coal mining – Work relating to coal mining?  Avian Overseas (P) Ltd. reported at 15 STR 540

© Lakshmikumaran & Sridharan, Notification No. 13/2003-ST  Commission agent’s services exempted  Notification amended with effect from  Now only the activities in relation to sale or purchase of agricultural produce exempted

© Lakshmikumaran & Sridharan, Clause (vii)  Does it stand in isolation with the preceding six clauses or does it stand in addition to them?

© Lakshmikumaran & Sridharan, BUSINESS SUPPORT SERVICES

© Lakshmikumaran & Sridharan, Ministry’s Letter  D.O.F. No. 334/4/2006-TRU dated Business entities outsource a number of services for use in business or commerce. These services include transaction processing, routine administration or accountancy, customer relationship management and tele-marketing. There are also business entities which provide infrastructural support such as providing instant offices along with secretarial assistance known as “Business Centre Services”. It is proposed to tax all such outsourced services. If these services are provided on behalf of a person, they are already taxed under Business Auxiliary Service. Definition of support services of business or commerce gives indicative list of outsourced services.

© Lakshmikumaran & Sridharan, Business Support Services  Section 65(105)zzzq  Provided to any person  By any other person  In relation to support services of business or commerce, in any manner

© Lakshmikumaran & Sridharan, Business Support Services  As amended by Finance Act, (104c) “support services of business or commerce” means services provided in relation to business or commerce and includes evaluation of prospective customers, telemarketing, processing of purchase orders and fulfillment services, information and tracking of delivery schedules, managing distribution and logistics, customer relationship management services, accounting and processing of transactions, operational or administrative assistance in any manner,formulation of customer service and pricing policies, infrastructural support services and other transaction processing.

© Lakshmikumaran & Sridharan, Business Support Services  Explanation.—For the purposes of this clause, the expression “infrastructural support services” includes providing office along with office utilities, lounge, reception with competent personnel to handle messages, secretarial services, internet and telecom facilities, pantry and security;

© Lakshmikumaran & Sridharan, Business Support Services  DOF No.334/3/2011-TRU Dated The scope of the service is being expanded to include operational or administrative assistance of any kind. The scope will cover all support activities for others on a contract or fee, that are ongoing business support business functions that businesses and organizations commonly do for themselves but sometimes find I economical or otherwise worthwhile to outsource. The word ‘operational and administrative assistance’ have wide connotation and can include certain services already taxed under any other head of more specific description. The correct classification will continue to be governed by Section 65A.

© Lakshmikumaran & Sridharan, MP Power Transmission Case  Activity of assistance in transmission of power is service to TRADECO and DISCOMS

© Lakshmikumaran & Sridharan, Business Support Services  How to define “outsourced service”?  How does it differ from business auxiliary service?  Promotion of services of banks by agent is business support services and not business auxiliary  Wings Group reported at 12 STR 287 “  Is it residuary entry for services to business or commerce?

© Lakshmikumaran & Sridharan, DISCUSSION

© Lakshmikumaran & Sridharan, New Delhi B-6/10, Safdarjung Enclave New Delhi – , India Ph: , Fax: , Mumbai , Kakad Chambers, 132, Dr. Annie Besant Road Worli, Mumbai – Ph: /84/86 Fax: Bangalore , 5 th Floor, Brigade Plaza (North Block) No.71/1, Subedar Chatram Road, Anand Rao Circle, Banglaore Thank You Our contacts Hyderabad Block No 301, 3 rd Floor Hermitage office complex Hill Fort Road, Hyderabad Tel: /25 Fax: Chennai 2, Wallace Garden, 2 nd Street Chennai Tel: /701 Fax: Ahmedabad B-334 (3 rd Floor), Sakar- VII, Nehru Bridge Corner, Ashram Road, Ahmedabad Tel: Fax: