GST Filing and Case Law Updates

Case Of:  M/s Green Infra Wind Farm Assets Limited
Issued By:  Rajasthan AAR
Order No: RAJ/AAR/2024-25/10
Date: 2nd July 2024
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Judgement

Corporate Guarantees Issued by Foreign Group Entities Are Subject to a One-Time GST Payment, Eliminating Periodic Tax Obligations.

Observations

M/s Green Infra Wind Farm Assets Limited, (The Appellant) approached the AAR to get more clarity related to payment mechanism of corporate
guarantee issued to it by its foreign group entity.

The corporate guarantee in question was furnished once for a specific period, with no provisions for renewal until the loan contract’s final settlement.

The central concern was determining the appropriate time of supply and payment structure under the Reverse Charge Mechanism (RCM) for the
guarantee’s full term.

Findings

The Rajasthan AAR observed  that, as per Section 13(3) of GST rules, the time of supply for such corporate guarantees is established on the date of entry in
the books of the Indian subsidiary, mandating a one-time GST payment under RCM.

Since the corporate guarantee is valid for a specified duration without any periodic renewals, AAR found that there is no need for recurring GST filings, thus requiring the tax to be paid upfront at the time of import of service. 

Thereby the AAR ruled that GST must be paid in full upfront for the total guarantee period at 5%. This aligns with the pre-existing Circular.