AAAR/AP/03(GST)/2020 of M/s Ushabala Chits Private Limited
Case brief
What is this about?
The Authority for Advance Ruling held that interest and penalty collected by a chit fund foreman from defaulting subscribers constitute a taxable supply of services under Heading 9971. The authority rejected the claim that such interest is exempt as it does not fit the definition of interest on loans or deposits and clarified that chit fund activities are treated as services, not actionable claims
What did the court decide?
The Appeal was partly allowed; the Advance Ruling upholding taxability was supported, while the claim for exemption was rejected.