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Cenvat under Sponsorship service, Service Tax

Issue Id: - 5014
Dated: 6-12-2012
By:- jyoti kan

Cenvat under Sponsorship service


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Dear Sir,
 
I want to know about some cenvat credit issue as follow, please guide me.
 
If Mr. X, a manufacturer, sponsor a event then service tax will be paid by Mr. X 100%,under reverse charge then can he take that service tax credit against excise on manufacturing.
 
Thanking you. 

Posts / Replies

Showing Replies 1 to 8 of 8 Records

Page: 1


1 Dated: 6-12-2012
By:- Pradeep Khatri

If such sponsorship service amounts to sales promotions activity, advertisement then you may avail the CENVAT credit.


2 Dated: 7-12-2012
By:- CA Seetharaman K C

The credit can be taken only after the service tax payment has been made on the basis of the challan making the payment


3 Dated: 7-12-2012
By:- JAMES PG

For taking credit based on the reverse charge mechanism, payment of both value of service as well as the Service Tax is a pre-condition 


4 Dated: 7-12-2012
By:- jyoti kan

How for a manufacturer a sponsorship service will be a input service ?


5 Dated: 7-12-2012
By:- JAMES PG

Input service is defined in CCR as any service used by a manufacturer whether directly or indirectly in or in relation to the manufacture of final products and clearance of final products upto the place of removal and includes services like advertisement or sales promotion, market research etc . Without advertisement it is difficult to market a product and sponsorship is resorted to as a good means for advertisement and sales promotion by most manufacturers. Pl refer to Circular No 334/1/2010-TRU dated 26.2.10 wherein it is clarified that sponsorship is form of advertisement


6 Dated: 7-12-2012
By:- Pradeep Khatri

Nice reply by 'James Sir'.


7 Dated: 8-12-2012
By:- jyoti kan

Thank u sir.......


8 Dated: 11-12-2012
By:- Rajagopalan Ranganathan

Sir,

   If the sponseship of event is for promoting sales of the goods manufactured by the manufacturer, then he can take credit of service tax paid on such sponseship.

R. Ranganathan


Page: 1

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