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TaxReply India Pvt Ltd

AMOGH RAMESH BHATAWADEKAR
(Authority for Advance Ruling, Maharashtra)

Hon'ble Judges:

P. VINITHA SEKHAR
T.R. RAMNANI
Pet. Counsel
D.v.retharekar
Res. Counsel
Na

Petitioner / Applicant

AMOGH RAMESH BHATAWADEKAR

Respondent NA
Court

AAR (Authority for Advance Ruling)

State

Maharashtra

Date Dec 15, 2020
Order No.

GST-ARA-06/2019-20/B-58

Citation

2020(12) TAXREPLY 3647

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ORDER

PROCEEDINGS Under Section 98 of the Central Goods and Services Tax Act, 2017 and the Maharashtra Goods and Services Tax Act, 2017) The present application has been filed under Section 97 of the Central Goods and Services Tax Act, 2017 and the Maharashtra Goods and Services Tax Act, 2017 [hereinafter referred to as “the CGST Act and MGST Act” respectively] by M/s. AMOGH RAMESH BHATAWADEKAR, the applicant, seeking an advance ruling in respect of the following questions. 1) Whether “e-goods”, as commercially known in the market, are “goods” as defined in the GST Acts or are they services as per GST Act? 2) If they are goods, what is the HSN classification and if services, what is the service classification and rate of GST on its sale/ supply within state? 3) Whether they are exempted from GST? 4) If Not exempted, what is the rate of GST on supply? 5) In what circumstances will IGST, under reverse charge, be appli....

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