Deepak Gupta | Oct 11, 2016 |
GST: Time of supply of goods as per Model GST Law with Examples!
Meaning and Relevance:
Time of supply of goods determines time, when the tax (GST) will be levied. GST is levied on supply (i.e. for ex: when the goods are sold, transferred to branch, etc). Now, let us take example of sale of goods. In a sale transaction various events are involved i.e. invoice issuance, payment receipt, outflow of goods from stock, etc. Now when will be the tax levied on this sales transaction whether at time of invoice issuance, receipt of payment, outflow of goods A question may arise that tax will be paid at any of the event of sale transaction, then why there is need for its understanding. The reason is it will lead to interest and penalty if paid at later event. Let us take an example:
A solds goods to B for Rs.1 lac. Now the various events of sale transactions are as under:
Particulars | Date |
Invoice Issuance | 01.04 |
Goods received by B | 01.05 |
Payment received | 01.06 |
Now, as per model GST law tax needs to be paid within 20 days of closing of month of time of supply. As per model GST law time of supply is earlier of above 3 events. Therefore time of supply happens on 01.04(1st April) and for which tax needs to be paid by 20th of May. Now if A assumes that he needs to pay tax on 20th of July being 20 days after close of month in which payment was received, he is incorrect and GST law provides for payment of interest(say 2% per month) in this case. Therefore, he will be required to pay interest of 2% per month*2 months of delay* Sale amount i.e. 2%*2*1 lac equal to Rs.4K (4 thousand). Therefore, the need for understanding this concert arises. Read on.
Legal Provisions:
Section 12
or
The date on which the goods are made available to the recipient (*2), in a case where the goods are not required to be removed (Example 1); or
Explanation 1.- The provisions of sub-clause (ii) of clause (a) shall apply in cases where the goods
(a) are physically not capable of being moved; or
(b) are supplied in assembled or installed form; or
(c) are supplied by the supplier to his agent or his principal.
Explanation 2.- For the purposes of sub-clause (ii) of clause (a), the expression made available to the recipient shall mean when the goods are placed at the disposal of the recipient.
Explanation 3.- For the purposes of clauses (b) and (c) of sub-section (2), the supply shall be deemed to have been made to the extent it is covered by the invoice or, as the case may be, the payment.
Explanation 4.- For the purpose of clause (c) of sub-section (2), the date on which the supplier receives the payment shall be the date on which the payment is entered in his books of accounts or the date on which the payment is credited to his bank account, whichever is earlier.
Explanation.- For the purpose of clause (b) of sub-section (5), the date on which the payment is made shall be the date on which the payment is entered in the books of accounts of the recipient or the date on which the payment is debited in his bank account, whichever is earlier.
Analysis:
(*1)Removal of goods
Removal being defined in Section 2(83) to be limited only to physical transportation and excludes any other form of extinguishment or consumption of goods.
It is important to note that the removal is not when the goods are actually placed in the hands of the recipient, but the time when they are taken-up by the supplier with intention of transportation to the recipient. In other words, the time of supply is on commencement of the journey and not completion of the journey.
Also, every other innocent transportation of goods not specifically and purposefully to supply it to the recipient would not be removal under this section. In other words, any transportation of goods before they are in a deliverable state even if it is ultimately in furtherance of the supply would not be removal.
To reiterate here, unless time of supply occurs, the incidence of tax is deferred. Unless goods are in a deliverable state, even if there is an attempt to supply or any transportation resembling supply, there would be no incidence of tax (yet).
(*2) Made Available
This expression is explained to mean placed at disposal of recipient. In other words, without being required to remove the goods, if the supplier gives up control over the goods, that would also be the time of its supply.
Notes:Extinguishment or consumption of the goods even if considered to be supply, does not attract the levy of tax until its time of supply can be determined under this section.
Examples:
1) Time of supply of goods:
S. NO. | Date of Removal of goods | Date of Invoice | Date goods made available to recipient | Date on which recipient records receipt of goods in his books of accounts | Date of entry of receipt of payment in books of accounts of supplier | Date of credit in bank account of supplier of goods | Time of supply |
1 (required to be removed) | 21.04 | 25.04 | 25.04 | 25.04 | 19.04 | 18.04 | 18.04 |
2 (Made available to recipient) | NA | 01.05 | 30.04 | 30.04 | 01.05 | 01.05 | 30.04 |
3 (supplied to his agent/ principal) | 22.04 | 01.06 | 25.04 | 30.04 | 30.04 | 30.04 | 25.04 |
4 (supplied by agent of supplier, same treatment as 1) | 29.04 | 01.06 | 29.04 | 30.04 | 30.04 | 28.04 | 28.04 |
2) Reverse charge:
Date of receipt of goods | Date of receipt of invoice | Date of debit of payment in books of accounts of recipient of goods | Date of debit in bank account of recipient of goods | Date of debit in books of accounts | Time of supply |
29.04 | 28.04 | 27.04 | 25.04 | 26.04 | 25.04 |
3) Continuous supply:Supply of goods by ACC Ltd.to Brigade Ltd. When Brigade Limited issues a open purchase order on ACC Ltd.
Case 1: When successive statements of accounts/payments are involved
S.No. | Particulars | Date of invoice/removal | Date of receipt of Invoice | Date of statement by supplier | Date of expiry of successive statement of accounts(1) | Date of expiry of successive payments (2) | Time of supply (1) or (2) |
1 | Supply | 10.04 | 11.04 | ||||
2 | Supply | 11.04 | 12.04 | ||||
3 | Supply | 13.04 | 15.04 | 18.04 | 18.04 | 21.04 | 18.04 |
Case 2 : When no successive statements of accounts/payments are involved
S.No.(1) | Particulars(2) | Date of Invoice(3) | Date of Receipt of Invoice(4) | Date of expiry of successive payments(5) | Time of Supply(3) or(5) |
1 | Supply | 21.06 | 22.06 | 10.05 | 10.05 |
2 | Supply | 22.06 | 22.06 | 28.06 | 22.06 |
3 | Supply | 26.06 | 27.06 | 30.07 | 26.06 |
(*3) Where goods are sent on approval basis, time of supply will be when the goods are irretrievably retained by recipient or six (6) months, whichever is earlier. So, whenever removal is referred to in the Act, it must be used with reference to the purpose behind each removal. This interpretation supports the analysis in the above paras that tax incidence must wait until removal occurs with the purpose of the supplier irreversibly giving up control over the goods.
Example 4)
If a machine is sent to a recipient on approval basis.
S. No. | Date of Removal | Date of receipt by recipient | Date of approval(1) | Date of expiry of six months from the date of removal(2) | Time of supply(1) or (2) |
1 | 11.04 | 15.04 | 22.04 | 10.10 | 22.04 |
2 | 11.04 | 15.04 | Awaited | 10.10 | 10.10 |
Summary:
The provisions of section 12 specify the time of supply of goods to be date when:
For any kind of professional Assistance, please reach out to me freely and preferably by mail.
Regards,
LLB(P). Shivashish Kumar
B.Com(H), Former Tax Consultant at Ernst & Young
+91-9818472772
ca.shivashish@gmail.com
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