Skip to main content

PLACE OF SUPPLY GOODS AND SERVICES

 PLACE OF SUPPLY GOODS AND SERVICES

INTRODUCTION

Under the GST regime, determination of place of supply is most crucial factor because the chargeability whether of intra-State or inter-State depends on the place of supply. It shall be noted here that in GST there are 3 important concepts that is to be kept in mind –

  1. Taxable event i.e. supply,
  2. Time of Supply of Goods/Services,
  3. Place of Supply of Goods/Services

Therefore, place of supply is very important for proper compliance under GST law. In case the place of supply is wrongly determined, it may have vast implication as per the provisions of Section 77 discussed in the Chapter 1.23 — Demand and Recovery.

     


Comments

Popular posts from this blog

SLUMP SALE AND ITS TAXABILITY

  SLUMP SALE AND ITS TAXABILITY MEANING OF “SLUMP SALE” AND “UNDERTAKING” The scheme of taxation of a “slump sale” is provided under section 2(42C) r. w. section 50B of the Act. Section 2(42C) defines slump sale to mean a transfer of one or more undertakings for a lumpsum consideration without values being assigned to the individual assets and liabilities in such sales. The term “undertaking” is defined in Explanation 1 to clause (19AA) of section 2 of the Act. The Finance Act 2021, has amended the definition of “slump sale” to provide that all types of ‘transfer’ as defined under section 2(47) shall be included within the scope of slump sale. The effect of this amendment is that all types of slump transfers, including slump exchange, are now governed by section 50B of the Act. By virtue of this amendment the decision of the Bombay High Court in case of Bharat Bijilee Ltd 46 taxmann.com 257(Bom) got nullified. However, the conclusive words “in such sales” were inadvertently re...