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Services on capital account whether input services or capital goods, Goods and Services Tax - GST |
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Services on capital account whether input services or capital goods |
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Under the GST Act, "services" have been defined as anything other than "goods." Further, "capital goods" are defined as goods the value of which is capitalized in the books of accounts and which are used or intended to be used in the course or furtherance of business. In many instances, businesses procure certain services—such as architectural fees, design and engineering services, license fees, etc.—which are directly attributable to the creation or installation of plant and machinery. These service-related costs are often capitalized along with the value of the plant and machinery in the books of accounts. The issue arises regarding the treatment of such capitalized services for the purpose of Input Tax Credit (ITC) availment or reversal. Specifically:
Additionally, Para 6(a) of Schedule II to the CGST Act deems works contracts as a supply of services. In cases where a Lump Sum Turnkey (LSTK) contract is awarded—for example, for the construction of a large industrial plant—the entire scope of the contract (inclusive of both goods and services) is considered as a works contract service. In such cases, the entire value of the LSTK contract is capitalized as part of the plant and machinery. The clarification sought is:
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