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Outbound shipment transactions, Goods and Services Tax - GST

Issue Id: - 114783
Dated: 22-3-2019
By:- Nisha Prabhu

Outbound shipment transactions


  • Contents

Whether the outbound shipments where both parties; the customer and logistics company reside in India, will fall under IGST (Integrated Goods and Service Tax) with place of supply as "97- Other territory" with a value of 18%.

Is there any change from 01st Feb 2019?

Posts / Replies

Showing Replies 1 to 6 of 6 Records

Page: 1


1 Dated: 22-3-2019
By:- KASTURI SETHI

See Section 12 (8)(b). Proviso has been inserted (effective from 1.2.19) vide Section 5 of the IGST (Amendment) Act, 2018 (32 of 2018).

Also compare with Section 13(9) of IGST ACT, 2017 for clarification.


2 Dated: 23-3-2019
By:- CSSANJAY MALHOTRA

Rationale behind the Amendment, which is self explanatory.

Insertion of proviso to place of supply in case of transportation services - Section 12(8) of IGST Act, 2017

It has been proposed that place of supply of transportation services in relation to goods being exported outside India, shall be the destination of such goods.Accordingly, such transportation services would not be chargeable to GST.

This amendment has been proposed to provide a level playing field for the domestic transportation companies and promote the export of goods.


3 Dated: 25-3-2019
By:- Nisha Prabhu

Whether ITC be availed against the cost incurred if the sales are not taxable?


4 Dated: 25-3-2019
By:- KASTURI SETHI

No. It is hit by proviso to Section 16 (2) of CGST Act, 2017. See proviso below (d) to sub-section 2 of Section 16.


5 Dated: 27-3-2019
By:- SANJAY JAIN

As per section 12(8) of the IGST Act, the place of supply is outside India but still it is a inter State supply as per section 7(5)(a) of the IGST Act as below:

(5) Supply of goods or services or both,––

(a) when the supplier is located in India and the place of supply is outside India;

(b) to or by a Special Economic Zone developer or a Special Economic Zone unit; or

(c) in the taxable territory, not being an intra-State supply and not covered elsewhere in this section,

shall be treated to be a supply of goods or services or both in the course of inter-State trade or commerce.


6 Dated: 27-3-2019
By:- KASTURI SETHI

It is inter-State supply. There is no doubt about it.. I agree with Sh.Sanjay Jain.


Page: 1

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