Tax Management India. Com
Law and Practice  :  Digital eBook
Research is most exciting & rewarding


  TMI - Tax Management India. Com
Follow us:
  Facebook   Twitter   Linkedin   Telegram
Discussions Forum
Home Forum Service Tax This
A Public Forum.
Anyone can participate to share knowledge.
We acknowledge the contributions of Experts/ Authors.

Submit new Issue / Query

Service tax coverage on steel fabricators, Service Tax

Issue Id: - 3808
Dated: 11-2-2012
By:- Atul Gupta

Service tax coverage on steel fabricators


  • Contents

Dear Friends,

My client is a steel fabricator. He has contracts with supply of material and without material. In case, his contract involves material as well as labour, it will fall under work contract services. But in case, the material is not involved, only labour part is involved i.e erection / installation services then in which category of service will he be covered? I am confused between the following services:

1. Erection, Instalation & Commissioning.

2. Repair & Maintenance Services

3. Business Auxilliary Services

Please share your views and suggestions.

Thanks & Regards

Posts / Replies

Showing Replies 1 to 3 of 3 Records

Page: 1


1 Dated: 11-2-2012
By:- NEERAJ KUMAR, RANCHI

In my opinion this will fall under BAS.


2 Dated: 12-2-2012
By:- ROHAN THAKKAR
  • If the Steel fabrication is done on behalf of the client, then the said service will fall under ‘Business Auxiliary service’.
  • However, where the services provided is not behalf of the client, but the services are provided in independent capacity, in such as case, the service of steel fabrication will fall under ‘Erection, Commissioning and Installation service’
  • The term fabrication is an industrial term refers to building metal structures by cutting, bending, and assembling.’
  • "Erection, commissioning or installation" means any service provided by a commissioning and installation agency, in relation to,—

(i)  erection, commissioning or installation of plant, machinery, equipment or structures, whether pre-fabricated or otherwise;                     or

(ii)  installation of—

       (a) electrical and electronic devices, including wirings or fittings therefore; or

       (b) plumbing, drain laying or other installations for transport of fluids; or

       (c) heating, ventilation or air-conditioning including related pipe work, duct work and sheet metal work; or

       (d) thermal insulation, sound insulation, fire proofing or water proofing; or

       (e) lift and escalator, fire escape staircases or travelators; or

       (f) such other similar services;';

  • The term ‘management, maintenance or repair" means any service provided by—

(i) any person under a contract or an agreement; or

(ii) a manufacturer or any person authorised by him,

 in relation to,—

       (a) management of properties, whether immovable or not;

       (b) maintenance or repair of properties, whether immovable or not; or

       (c) maintenance or repair including reconditioning or restoration, or servicing of any goods, excluding a motor vehicle

Explanation.— For the removal of doubts, it is hereby declared that for the purposes of this clause,—

(a)  "goods" includes computer software;

(b)  "properties" includes information technology software 

 

Thus, looking to above provision, in my opinion, the above service falls under ‘Erection, commissioning or installation ’

 

Regards,

Rohan Thakkar


3 Dated: 12-2-2012
By:- Naveed S

Yes, the activities undertaken by your client definitely falls under the category of Erection, Instalation & Commissioning services.


Page: 1

Old Query - New Comments are closed.

Quick Updates:Latest Updates