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Security personnel v/s manpower supply, Service Tax

Issue Id: - 4431
Dated: 27-7-2012
By:- Ashok Chopra

Security personnel v/s manpower supply


  • Contents

Will security personnel depoloyed  by security agency at the unit  be considered as "SUPPLY OF MANPOWER FOR ANY PURPOSE" and does it become our liability to pay 75% Service Tax on secutiy agency bill as per Notification No. 30/2012-ST dated 20-06-2012 because in the bill raised by security agency clearly shows number of duties by security guards and security supervisors at our unit.

Please advice accordingly

Posts / Replies

Showing Replies 1 to 5 of 5 Records

Page: 1


1 Dated: 27-7-2012
By:- JAMES PG

If the contract given to a Security agency is clearly for providing security service and the servcie provided is purely security service, it will not fall under the definition of manpower supply. If you are hiring manpower  from a Contractor and deploying them for security coverage pr for any other purpose under your superintndence and control,  then it will fall under manpower supply liable to reverse charge


2 Dated: 30-7-2012
By:- Pradeep Khatri

Correctly explained by Mr. James PG.


3 Dated: 31-7-2012
By:- Jayant Kuvelkar

For a body corporate, it will be safer to pay 75% under reverse charge to avoid imminent controversies. After all it is not an expenditure as they can take credit of the tax. It has to be remembered that the main objective to bring such services eg. labour supply contractors, security services, small contractors under reverse charge was the innumerable frauds committed by such service providers of not paying the service tax collected to Govt.


4 Dated: 31-7-2012
By:- hubert fernandes

please refer draft circular 354/127/2012-TRU


5 Dated: 8-8-2012
By:- JAMES PG

Vide  Notn No 45/2012 dated 7.08.12, Govt has amended Not No 30/12 dated 20.06.12 so as to include Security services also. Hence reverse charge will be applicable for Security services also wef 7.08.12


Page: 1

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