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Turnkey project under GST - Composite supply vs Works Contract

AAR rules on classification of Turnkey project under GST – Composite supply vs Works Contract

Classification of large infrastructure projects involving both goods and services portions is a complex task. There has been a debate on classification of turnkey projects as composite supplies as against works contracts.  The Hon’ble Authority for Advance Ruling, Maharashtra (‘AAR’) in the case of In Re: Ms/ Jalaram Feeds (GST-ARA-83/2018-19/B-03) vide order dated 8 January 2019 had an opportunity to examine such a factual situation. 

On facts, the AAR ruled that the turnkey project should be classified as composite supply of naturally bundled goods and services and not as a works contract.

1. Facts of the case related to the Turnkey Project

  • M/s.
    NR Energy Solutions Private Limited (‘Taxpayer’) is engaged in the business of
    manufacture, export and supply of Electrical Control Panels, Power System,
    protection, automation, flexible AC transmission system, HDVC transmission etc.
  • The
    Taxpayer was awarded turnkey projects for certain Electrical components at
    various sites/ locations.
  • The
    scope of work involved ‘Supply of Relay & Protection Panels and Substation
    Automation System (SAS), complete design, manufacture, packing, insurance,
    transport and delivery to sites, training, installation, testing and
    commissioning of protection panels with Substation Automation System compatible
    to IFC 61850 protocol, to control and operate the 220 K V, 132 KV & 33 KV
    feeders, Power Transformers and equipment”.
  • The
    contract involved both service as well as supply portions.
  • In
    the pre GST era, Taxpayer levied excise duty and central sales tax along with
    applicable cess on the value of supplies and also levied service tax on the
    value of installation, testing and commissioning charges.
  • In
    the GST era, the Taxpayer had charged GST @ 28% under HSN 85372000 for the
    value of supplies and GST @ 18% under HSN 995461 on the value of services.
  • As
    per the Taxpayer’s customer, GST should be levied @ 18% as the turnkey projects
    are essentially “works contract” involving erection and installation of goods
    into immovable property and transfer of ownership in goods during the course of
    execution of the contract.

2. Submissions of the Taxpayer

  • As
    per Section 7(1) of the Central Goods and Services Tax Act (‘CGST Act’),
    “supply” includes all forms of supply of goods or services or both such as
    sale, transfer, barter, exchange, licence, rental, lease or disposal made or
    agreed to be made for a consideration by a person in the course or furtherance
    of business
    .
  • In
    the case of the turnkey projects, the Taxpayer is under an obligation to:
    • complete
      design, manufacture of equipment
    • packing,
      insurance, transport and delivery of equipment to various sites
    • installation,
      testing and commissioning of various equipment at Substation and thereafter
      render training.
  • As
    per Section 2(119) of the CGST Act, “works contract” means a contract for
    building, construction, fabrication, completion, erection, installation,
    fitting out, improvement, modification, repair maintenance, renovation,
    alteration or commissioning of any immovable property wherein transfer of
    property in goods (whether as goods or in some other form) is involved in the
    execution of such contract.
  • The
    project undertaken by the Taxpayer makes the supplies into an immovable
    property.  As per the principles of
    various judicial pronouncements, equipment and devices fastened to the earth,
    for its beneficial enjoyment will partake the character of “immovable
    property”.
  • Hence,
    the turnkey project undertaken by the Taxpayer falls under the purview of
    execution of a ‘works contract’ and subject to GST @ 18% under HSN 995461.

3. Submissions of the GST authorities

  • As
    per Section 2(30) of the of CGST Act, ‘composite supply’ means a supply made
    by a taxable person to a recipient consisting of two or more taxable supplies
    of goods or services or both, or any combination thereof, which are naturally
    bundled and supplied in conjunction with each other in the ordinary course of
    business, one of which is a principal supply’.
  • The
    turnkey project involved both supply of goods as well as services; the value of
    supplies comprises more than 97.5% of the project value and the rest 2.5% cost
    comprises services portion.
  • Specific
    classification would prevail over general classification for the purpose of
    determining the applicable tariff.
  • In
    order to conclude that the activity is in relation to an immovable property and
    a works contract, the construction element has to be taken into consideration.
  • Hence,
    the transaction is covered under the composite supply and not under the works
    contract as claimed by the Taxpayer.

4. Ruling of the AAR

  • The
    transaction would amount to a ‘works contract’ service if the same is in
    relation to any immovable property.
  • As
    per the contract documents, the value of supplies of equipment is clearly
    distinct and separated from the value of services rendered.
  • In
    addition to the demarcation, the supply and service portions have been
    naturally bundled and in conjunction with each other.
  • Separate
    payments are received for the goods and service portions.
  • The
    Taxpayer cannot render services without the goods as the goods and services are
    supplied bring as a combination and in conjunction and in the course of their
    business where the principal supply is supply of goods.
  • There
    is no activity undertaken in relation to any immovable property involving
    transfer of property in goods (whether as goods or in some other form) in the
    execution of the turnkey contract.
  • Hence,
    the transaction would not amount to ‘works contract’

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