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GST Payment of Annuity Fees on Roads Construction Still Not Clear

Taxability Not Clear of Annuity on Road Construction

The GST council, in a recent meeting, has put a clarification on the grey area that annuity paid for ‘service provided in the form of access to a road or a bridge shall be exempted from GST.

In India and most of the developing economies across the globe, Road construction projects are operated by the government in partnership with the private sector under the umbrella term Public-Private Partnership (PPP) which can be further categorized into the following three models:

In the case of both the BOT Annuity Model and HAM, the consideration for the execution of the project is accomplished in two parts

  1. At the time interval of the construction of roads by way of grants/upfront payments
  2. In the form of an annuity that is received on a deferred basis while the operation and maintenance phase is in progress

Despite the several requests and proposals made by the industry, the issue of taxability of annuity that is received for the construction of roads still remains a grey area. Furthering, the differences in the recommendations that are made in the minutes of the 22nd GST council meeting that was held on October 6, 2017, and the notification that was issued in this regard made the issue of ‘taxability of annuity’ a further complex issue. The entire episode is divided into the following stages

Trouble Faced by the Industry

Considering the aforesaid facts and circumstances, especially under the HAM model

Proposal of GST Council’s Meeting

The GST Council in its 43rd meeting Smt @nsitharaman will chair the 43rd GST Council meeting via video conferencing at 11 AM in New Delhi on 28th May 2021. The meeting will be attended by MOS Shri @ianuragthakur besides Finance Ministers of States & UTs. Read also has resolved this issue by clarifying that annuity payments for the construction of roads are taxable. The clarification by GST Council has also cleared the issue with respect to the availability of ITC to the aforesaid companies. So Construction companies would now be eligible to claim ITC of entire goods and services received during the construction period. This will also reduce the accumulation of ITC in the books of accounts of construction companies.

However, no clarification has been provided with respect to the past period

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