Taxmann's GST on Works Contract & Real Estate Transactions – Incorporating issues pertaining to Projects, TDR, Development Rights, FSI, Leasing & Renting with Numerical Illustrations | [2024]


Book Description

This book discusses the complexities of taxability concerning works contracts and real estate transactions under the GST regime. Spread over twenty detailed chapters, the book provides an exhaustive analysis starting from: • Transactions relating to real estate covering the GST implications on the sale of developed plots • Services by housing societies • Intricacies of real estate services for both residential and commercial apartments It addresses specific scenarios for various types of real estate projects, such as: • Reverse Charge Mechanisms • Input Tax Credit Provision • Valuation Methodologies Each topic is systematically broken down in the following manner: • Detailed Sections on Background Information • Definitions • GST Rates Effective from April 2019 • Special Cases, such as exemptions and concessions for services related to government projects This book is intended for tax professionals, legal experts, and business owners in the construction and real estate sectors. It offers an understanding of managing GST compliance and maximizing fiscal efficiencies through strategic GST planning. The Present Publication is the 9th Edition | 2024 and has been amended upto 25th March 2024. This book is authored by V.S. Datey and covers the following: • Basics of GST o Background and Key Concepts § Introduction to the Goods and Services Tax (GST), including its background, broad definitions, and rates § Details on the GST Compensation Cess, the concept of 'deemed sale', and the taxation powers of district councils § Explanation of the Goods and Services Tax Network (GSTN) and frameworks for inter-state transactions like IGST and UTGST § Descriptions of the Central GST Act (CGST) and State GST Act (SGST) o Taxable Event in GST § Definition and understanding of what constitutes a taxable event under GST § Discussion on what qualifies as 'supply' under the GST law, including scenarios where no consideration is involved § Differentiations between goods and services in various business contexts and exemptions § Explanation of tax liabilities in cases of mixed and composite supplies • Classification of Goods and Services o Overview of the need for classification and the use of the Harmonized System of Nomenclature (HSN) o Discussion on classification conflicts and general interpretative rules (GIR) in tariff classification • Valuation of Taxable Supply o Methods to determine the transaction value for goods and services, including considerations of subsidies, discounts, and related-person transactions o Details on various valuation methods, including cost-based and margin schemes • Input Tax Credit (ITC) o Explanation of the core provisions of ITC and the conditions under which it can be availed o Specific guidelines on blocked credits and circumstances where ITC cannot be claimed • ITC in Mixed Supply Contexts o Details on apportioning ITC when used for both business and non-business purposes o Special provisions for banks and financial institutions regarding ITC • ITC – Other Issues o Various considerations around ITC for capital goods and changes in business structure like mergers or sales • Input Service Distributor (ISD) o Functions of an Input Service Distributor and procedures for the distribution of credit o Requirements for ISD tax invoices and monthly returns • Place of Supply Rules o Importance and determination of the place of supply for goods and services affecting GST liabilities o Specific rules for different types of services, including immovable property-related services, event-based services, and transport services • Time of Supply o Rules determining the time of supply, which dictates when GST becomes payable o Various scenarios and their implications on the timing of GST liability • Reverse Charge Mechanism o Explanation of the reverse charge mechanism where the recipient is liable to pay GST o Details on specific cases and procedural aspects under the reverse charge • GST Procedures o Comprehensive details on GST administration, registration requirements, and compliance procedures o Information on tax payments, electronic ledgers, and returns, including specific forms and their relevance • E-way Bill for Transport of Goods o Background and procedures for the generation of e-way bills required for the transportation of goods o Regulatory provisions and penalties associated with e-way bills • Miscellaneous Issues in GST o Discussion on anti-profiteering measures, tax deduction at source (GST TDS), and advance ruling mechanisms • Taxability of Works Contracts and Real Estate Transactions o Coverage of GST on various real estate-related transactions o Specifics on the taxability of sales of developed plots and the inclusion of development costs o Discussion on the act of refraining from or tolerating certain acts under GST o Examination of services provided by housing societies or resident welfare associations • Real Estate Services for Residential and Commercial Apartments o Background and definitions relevant to real estate services o A detailed explanation of GST rates effective from April 1, 2019, for different types of real estate projects o Insights on the valuation for GST purposes when land value is included in the total amount charged o Overview of reverse charge mechanisms for input and services and provisions for ongoing projects regarding input tax credits o Detailed discussion on the apportionment of input tax credit and contracts for constructing affordable residential apartments o Valuation issues and the impact of joint development agreements on real estate services • TDR/FSI and Long-Term Lease Real Estate Transactions o Tax implications on real estate transactions excluding the sale of land or completed buildings o Transfer of development rights and implications for GST o Specific conditions and exemptions related to transferable development rights (TDR), Floor Space Index (FSI), and upfront amounts for long-term leases o Valuation challenges and summary of liabilities in transactions involving TDRs or FSIs • Leasing and Renting of Real Estate o Clarification that leasing or renting of land and buildings constitutes a 'supply of services' o Specifics on renting immovable property and services supplied jointly by co-owners o Exemptions and reverse charge scenarios in the context of services supplied by governmental bodies in relation to renting of immovable property • Construction and Works Contract Services o Taxation details on construction activities and works contract services o Rate of tax for works contract as a composite supply and distinctions between construction services and works contract services o Information on exemptions, concessions, and the tax implications for subcontractors in the context of services supplied to or by the government • Government Related Activities o Overview of public administration services and services provided by the government that are exempt from GST o Details on concessional rates and reverse charge mechanisms for services provided by or to governmental entities, excluding specific departments like railways and post




Practical Guide to GST on Real Estate Industry


Book Description

About the book The purpose of this book is to enable the taxable person to understand the applicability and impact of GST provisions with respect to the Real Estate Industry. The comprehensive and in-depth practical knowledge of the four authors would help in implementation of the provisions in an easy manner. This book is divided into eight parts as follows: Part 1 - Introduction and Overview Part 2 - GST impact analysis on real estate developers: Complex Developers, Joint development, contractors and other income. Part 3 - Detailed operational law containing classification, registration, tax credits, documentation, payments etc. Part 4 - Detailed procedural law containing assessment, audit, advance ruling, appeals, penalties, demands etc. Part 5 - Tax planning avenues, GST and RERA, Transitional provisions Part 6 - Disputes and department actions, [focussing on possible dispute area & resolution]. Part 7 - Role of Professionals from GST audit and tax planning perspective. Part 8 - Miscellaneous: 220+ FAQs and filled forms. Appendices containing FAQs released by CBIC and Important Notifications. Key Features Detailed and practical analysis of the GST provisions with case laws pertaining to the real estate industry. Covering all possible dispute areas along with their resolutions. Detailed analysis of the tax planning aspect. Covering extensive FAQs for removal of doubts. Blank as well as filled forms for better understanding. Detailed discussion on the role of professionals on how they can help in various GST matters. Visit http://bit.ly/GSTrealestate for Free online updates and important information.




Indirect Taxes


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Permanent Establishment


Book Description

A new edition of the preeminent work on the permanent establishment (PE) is a major event in tax law scholarship. Taking into account changes in judicial and administrative practice as well as the Organisation for Economic Co-operation and Development’s (OECD’s) and the United Nation’s (UN’s) work in the three decades since the first edition, the present study brings the analysis up to date with the current internationally accepted interpretation of PE. The analysis is based on more than 720 cases from more than 20 countries, in addition to the OECD and UN model treaties and more than 630 books, articles, and official documents. The increased significance of the digital economy has rendered the traditional concept of PE inadequate for the allocation of taxing jurisdiction over the modern, mobile or digital international business. The author’s in-depth analysis explains the legal elements of the PE principle with attention to their continuing benefit and their shortcomings: criteria defining a PE- place of business, location, right of use, duration, business connection, business activity, ordinary course of business; evidence of a right of use to a place of business; business activities included in the PE concept of the tax treaties; identification of projects offshore and onshore; UN model treaty deviations from the OECD agency clause; distinction between jurisdictions with significant natural resources and countries possessing the capital, technology and know-how necessary to explore and exploit these resources; and how policies in each country may erode the PE concept. The book provides many synopses of court decisions and administrative rulings upon which the analysis is based. In addition to cases previously published in law reports and other publications, a number of unpublished decisions are included. A key word index makes it easy to find what is needed in any particular matter. The PE principle, in one version or another, is used in several thousand tax treaties in force today. This updated comprehensive study reveals the obligations imposed through the use of PE in tax treaties and will continue to be of immeasurable value to tax practitioners and scholars worldwide. In addition, the discussion of whether the notion of PE is an appropriate criterion for taxing jurisdiction in international fiscal law today provides authoritative and insightful food for thought.




International VAT/GST Guidelines


Book Description

This paper set forth internationally agreed principles and standards for the value added tax (VAT) treatment of the most common types of international transactions, with a particular focus on trade in services and intangibles. Its aim is to minimise inconsistencies in the application of VAT in a cross-border context with a view to reducing uncertainty and risks of double taxation and unintended non-taxation in international trade. It also includes the recommended principles and mechanisms to address the challenges for the collection of VAT on crossborder sales of digital products that had been identified in the context of the OECD/G20 Project on Base and Erosion and Profit Shifting (the BEPS Project).




Taxmann's GST Audit & Annual Return | Explanation is in complete sync with the current features available at GST Common Portal | 8th Edition | 2021 | F.Y 2019-20


Book Description

Taxmann’s GST Audit and Annual Return – F.Y. 2019-20’ caters to handle the preparation and filing of GSTR 9, GSTR 9A/4 and GSTR 9C for FY 2019-20 which is currently supposed to be filed till 28th February 2021. This book serves as a ready referencer for all the professionals like CA and their Articles, CS, CWA, Advocates, etc. in handling audit and annual return assignments. The Present Publication is the 8th Edition, incorporating all amendments and updated till 24th January 2021, authored by Aditya Singhania, with the following noteworthy features: • The book has been divided into 3 Divisions namely 𝚘 Division 1: GSTR 9, 𝚘 Division 2: GSTR 9A, and 𝚘 Division 3: GSTR 9C • [Division based on Forms] The Chapters in each division has been divided based on the said forms i.e. each Part of the forms has been dealt with in separate Chapters, therefore, making it easy for the professional to quickly refer the relevant part for better insight • [Clause-wise/Table-wise Format of Presentation] Exhaustive tables with clear cross reference between GSTR 1, GSTR 3B, GSTR 4 vis-à-vis GSTR 9 and GSTR 9A has been made for easy pick-up of the data for furnishing return • Clarifications issued from time to time has been incorporated in the relevant table to track the changes that has taken place from time to time • This book includes explanation of law and a commentary in each Chapter along-with relevant case laws in order to ascertain the impact in annual returns and audit for FY 2019-20 • [Explanation using practical examples] Since this is the 3rd year for which GSTR 9 and GSTR 9C needs to be furnished, therefore, there are several transactions whose impacts run across FY 2018-19 and FY 2019-20 for which a separate Chapter has been incorporated • [Quick Referencer of Sections, Rules & Forms] The unique portion of the book is ‘Quick Referencer for FY 2019-20’ which will help the professionals in cross referencing sections-rules-forms, ascertaining all the key changes like: 𝚘 Applicability of changes taken place through Finance Act 2019 & Finance Act, 2020 𝚘 Notifications issued during FY 2019-20 𝚘 Circulars issued till FY 2019-20, along-with relevant annexures • Also Available: 𝚘 [4th Edition] of Taxmann’s GST Practice Manual – Day to Day Practice Guide for Professionals • The contents of the book are as follows: • Division One – GST Annual Returns (GSTR-9) for Normal Taxpayers 𝚘 GST Annual Return – GSTR 9 𝚘 Part 1 of GSTR-9 [Basic Details] 𝚘 Part 2 of GSTR-9 [Details of outward and inward supplies made during the financial year] 𝚘 Part 3 of GSTR-9 [ Details of ITC for the financial year] 𝚘 Part 4 of GSTR-9 [Details of tax paid as declared in returns filed during the financial year] 𝚘 Part 5 of GSTR-9 [Particulars of the transactions for the previous FY declared in returns of April to September of current FY or up to 𝚘 date of filing of annual return of previous FY, whichever is earlier] 𝚘 Part 6 of GSTR-9 [Other Information] • Division Two – GST Annual Returns (GSTR-9A) for Composition Taxpayers 𝚘 GSTR-9A [GST Annual Return for Composition Supplier] • Division Three – GST Audit (GSTR-9C) 𝚘 GST Audit Report [GSTR-9C] 𝚘 Part A: Part I of GSTR-9C [Basic Details] 𝚘 Part A: Part II of GSTR-9C [Reconciliation of turnover declared in audited Annual Financial Statement with turnover declared in Annual Return (GSTR-9)] 𝚘 Part A: Part III of GSTR-9C [Reconciliation of Tax Paid] 𝚘 Part A: Part IV of GSTR-9C [Reconciliation of Input Tax Credit] 𝚘 Part A: Part V of GSTR-9C [Auditor’s recommendation on additional liability due to non-reconciliation] 𝚘 Part B of GSTR-9C [Certification] 𝚘 Spill over Effects




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Direct Taxes Ready Reckoner


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