{"id":8566,"date":"2023-01-13T16:28:34","date_gmt":"2023-01-13T16:28:34","guid":{"rendered":"https:\/\/www.klickongstworld.com\/blog\/?p=8566"},"modified":"2023-01-13T16:30:31","modified_gmt":"2023-01-13T16:30:31","slug":"cbic-issues-clarification-regarding-gst-rates-and-classification-of-certain-goods-based-on-the-recommendations-of-the-gst-council-in-its-48th-meeting-held-on-17th-december-2022","status":"publish","type":"post","link":"https:\/\/www.klickongstworld.com\/blog\/cbic-issues-clarification-regarding-gst-rates-and-classification-of-certain-goods-based-on-the-recommendations-of-the-gst-council-in-its-48th-meeting-held-on-17th-december-2022\/","title":{"rendered":"CBIC issues clarification regarding GST rates and classification of certain goods based on the recommendations of the GST Council in its 48th meeting held on 17th December, 2022"},"content":{"rendered":"<p align=\"justify\">The CBIC has issued&nbsp;<strong><em>Circular No. 189\/01\/2023-GST dated  January 13, 2022<\/em><\/strong><em>&nbsp;<\/em> for clarification regarding GST rates and classification of certain goods based  on the recommendations of the GST Council in its 48th meeting held on December  17, 2022.<\/p>\n<p align=\"justify\">Based on the recommendations of the GST  Council in its 48th meeting held on 17th December, 2022, clarifications, with  reference to GST levy, related to the following are being issued through this  circular:<\/p>\n<p align=\"justify\"><strong>Rab -classifiable under Tariff  heading 1702:<\/strong><\/p>\n<p align=\"justify\">Representation has been  received seeking clarification regarding the classification of &#8220;Rab&#8221;. It has  been stated that under the U.P. Rab (Movement Control Order), 1967, &#8220;Rab&#8221; means<em>&nbsp;&#8216;massecuite prepared by  concentrating sugarcane juice on open pan furnaces, and includes Rab Galawat  and Rab Salawat, but does not include khandsari molasses or lauta gur.&#8217;<\/em>&nbsp;Although,  a product of sugarcane, Rab exists in semi-solid\/liquid form, and is thus not  covered under heading 1701. The Hon&#8217;ble Supreme Court in its order in Krishi  Utpadan Mandi Samiti vs. M\/s Shankar Industries and others [1993 SCR (1)1037]  has distinguished Rab from Molasses. Thus, Rab being distinguishable from  molasses is not classifiable under heading 1703.<\/p>\n<p align=\"justify\">Accordingly, it is hereby clarified that Rab  is appropriately classifiable under heading 1702 attracting GST rate of 18% (S.  No. 11 in Schedule III of notification No. 1\/2017-Central Tax (Rate), dated the  28th June, 2017).<\/p>\n<p align=\"justify\"><strong>Applicability  of GST on by-products of milling of Dal\/ Pulses such as Chilka, Khanda and  Churi\/Chuni:<\/strong><\/p>\n<p align=\"justify\">Representations have been  received seeking clarification regarding the applicable GST rate on by-products  of milling of Dal\/ Pulses such as Chilka, Khanda and Churi\/Chuni.<\/p>\n<p align=\"justify\">The GST council in its 48th  meeting has recommended to fully exempt the supply of subject goods,  irrespective of its end use. Hence, with effect from the 1st January, 2023, the  said goods shall be exempt under GST vide S. No. 102C of schedule of  notification No. 2\/2017- Central Tax (Rate), dated 28.06.2017.<\/p>\n<p align=\"justify\">Further, as per  recommendation of the GST Council, in view of genuine doubts regarding the  applicability of GST on subject goods, matters that arose during the  intervening period are hereby regularized on &#8220;as is&#8221; basis from the date of  issuance of Circular No. 179\/11\/2022-GST, dated the 3rd August, 2022, till the  date of coming into force of the abovesaid S. No. 102C and the entries relating  thereto. This is in addition to the matter regularized on as is basis vide para  8.6 of the said Circular.<\/p>\n<p align=\"justify\"><strong>Clarification  regarding &#8216;Carbonated Beverages of Fruit Drink&#8217; or &#8216;Carbonated Beverages with  Fruit Juice&#8217;:<\/strong><\/p>\n<p align=\"justify\">Representations have been  received seeking clarification regarding the applicable sixdigit HS code for  &#8216;Carbonated Beverages of Fruit Drink&#8217; or &#8216;Carbonated Beverages with Fruit  Juice&#8217;.<\/p>\n<p align=\"justify\">On the basis of the  recommendation of the GST council in its 45th meeting, a specific entry has  been created in notification No. 1\/2017-Central Tax (Rate), dated the 28th  June, 2017 and notification No. 1\/2017- Compensation Cess (Rate), dated the  28th June, 2017, vide S. No. 12B in Schedule IV and S. No. 4B in Schedule  respectively, with effect from the 1st October, 2021, for goods with  description &#8216;Carbonated Beverages of Fruit Drink&#8217; or &#8216;Carbonated Beverages with  Fruit Juice&#8217;.<\/p>\n<p align=\"justify\">It is hereby clarified that  the applicable six-digit HS code for the aforesaid goods with description  &#8216;Carbonated Beverages of Fruit Drink&#8217; or &#8216;Carbonated Beverages with Fruit  Juice&#8217; is HS 2202 99. The said goods attract GST at the rate of 28% and  Compensation Cess at the rate of 12%. The S. Nos. 12B and 4B mentioned in Para  4.2 cover all such carbonated beverages that contain carbon dioxide,  irrespective of whether the carbon dioxide is added as a preservative,  additive, etc<\/p>\n<p align=\"justify\">In order to bring absolute  clarity, an exclusion for the above-said goods has been provided in the entry  at S. No. 48 of Schedule-II of notification No. 1\/2017-Central Tax (Rate),  dated 28th June, 2017, vide notification No. 12\/2022-Central Tax (Rate), dated  the 30th December, 2022.<\/p>\n<p align=\"justify\"><strong>Applicability  of GST on Snack pellets manufactured through extrusion process (such as  &#8216;fryums&#8217;):<\/strong><\/p>\n<p align=\"justify\">Representations have been received seeking  clarification regarding classification and applicable GST rate on snack pellets  manufactured through the process of extrusion (such as &#8216;fryums&#8217;).<\/p>\n<p align=\"justify\">It is hereby clarified that the snack pellets  (such as &#8216;fryums&#8217;), which are manufactured through the process of extrusion,  are appropriately classifiable under tariff item 1905 90 30, which covers goods  with description &#8216;Extruded or expanded products, savoury or salted&#8217;, and  thereby attract GST at the rate of 18% vide S. No. 16 of Schedule-III of  notification No. 1\/2017- Central Tax (Rate), dated the 28th June, 2017.<\/p>\n<p align=\"justify\"><strong>Applicability of Compensation  cess on Sports Utility Vehicles (SUVs):<\/strong><\/p>\n<p align=\"justify\">Representations have been received seeking  clarification about the specifications of motor vehicles, which attract  compensation cess at the rate of 22% vide entry at S. No. 52B of notification  No. 01\/2017 Compensation Cess (Rate), dated 28th June, 2017.<\/p>\n<p align=\"justify\">In this regard, it is clarified that  Compensation Cess at the rate of 22% is applicable on Motor vehicles, falling  under heading 8703, which satisfy all four specifications, namely: &#8211; these are  popularly known as SUVs; the engine capacity exceeds 1,500 cc; the length exceeds  4,000 mm; and the ground clearance is 170 mm and above.<\/p>\n<p align=\"justify\">This clarification is confined to and is  applicable only to Sports Utility Vehicles (SUVs).<\/p>\n<p align=\"justify\"><strong>Applicability of IGST rate on  goods specified under notification No. 3\/2017- Integrated Tax (Rate):<\/strong><\/p>\n<p align=\"justify\">Representations have been received expressing  doubts regarding the applicable IGST rate on goods specified in the list  annexed to notification No. 3\/2017-Integrated Tax (Rate), dated the 28th June,  2017.<\/p>\n<p align=\"justify\">On the basis of the recommendation of the GST  Council in its 47th Meeting, held in June 2022, the IGST rate has been  increased from 5% to 12% on goods, falling under any Chapter, specified in the  list annexed to the notification No. 3\/2017-Integrated Tax (Rate), dated the  28th June, 2017, when imported for the specified purpose (like Petroleum  operations\/Coal bed methane operations) and subject to the relevant conditions  prescribed in the said notification. However, some goods specified in the list  annexed to notification No. 3\/2017-Integrated Tax (Rate), dated the 28th June,  2017, are also eligible for a lower schedule rate of 5% by virtue of their  entry in Schedule I of notification No. 1\/2017-Integrated Tax (Rate), dated the  28th June, 2017.<\/p>\n<p align=\"justify\">Accordingly, it is hereby clarified that on  goods specified in the list annexed to the notification No. 3\/2017-Integrated  Tax (Rate), dated the 28th June, 2017, which are eligible for IGST rate of 12%  under the said notification and are also eligible for the benefit of lower rate  under Schedule I of the notification No. 1\/2017-Integrated Tax (Rate), dated  the 28th June, 2017 or any other IGST rate notification, the importer can claim  the benefit of the lower rate.<\/p>\n<p align=\"center\"><strong><a href=\"https:\/\/www.klickongstworld.com\/uploads\/CGST\/Circular\/1673617771.pdf\">Klick here for the copy of the  Circular<\/a><\/strong><a href=\"https:\/\/www.klickongstworld.com\/uploads\/CGST\/Circular\/1673617771.pdf\"> <\/a><\/p>\n","protected":false},"excerpt":{"rendered":"<p>2022\/06\/cbic-logo-new-1.jpg<\/p>\n","protected":false},"author":1,"featured_media":7535,"comment_status":"open","ping_status":"open","sticky":false,"template":"","format":"standard","meta":{"footnotes":""},"categories":[2],"tags":[],"_links":{"self":[{"href":"https:\/\/www.klickongstworld.com\/blog\/wp-json\/wp\/v2\/posts\/8566"}],"collection":[{"href":"https:\/\/www.klickongstworld.com\/blog\/wp-json\/wp\/v2\/posts"}],"about":[{"href":"https:\/\/www.klickongstworld.com\/blog\/wp-json\/wp\/v2\/types\/post"}],"author":[{"embeddable":true,"href":"https:\/\/www.klickongstworld.com\/blog\/wp-json\/wp\/v2\/users\/1"}],"replies":[{"embeddable":true,"href":"https:\/\/www.klickongstworld.com\/blog\/wp-json\/wp\/v2\/comments?post=8566"}],"version-history":[{"count":3,"href":"https:\/\/www.klickongstworld.com\/blog\/wp-json\/wp\/v2\/posts\/8566\/revisions"}],"predecessor-version":[{"id":8570,"href":"https:\/\/www.klickongstworld.com\/blog\/wp-json\/wp\/v2\/posts\/8566\/revisions\/8570"}],"wp:featuredmedia":[{"embeddable":true,"href":"https:\/\/www.klickongstworld.com\/blog\/wp-json\/wp\/v2\/media\/7535"}],"wp:attachment":[{"href":"https:\/\/www.klickongstworld.com\/blog\/wp-json\/wp\/v2\/media?parent=8566"}],"wp:term":[{"taxonomy":"category","embeddable":true,"href":"https:\/\/www.klickongstworld.com\/blog\/wp-json\/wp\/v2\/categories?post=8566"},{"taxonomy":"post_tag","embeddable":true,"href":"https:\/\/www.klickongstworld.com\/blog\/wp-json\/wp\/v2\/tags?post=8566"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}