01/AAAR/CGST/KPH/2022 of M/s K.P.H. Dream cricket Private Limited
Case brief
What is this about?
This judgment examines whether supplying complimentary cricket tickets without consideration constitutes a 'supply' under GST. The appellate authority held that without consideration, excluding Schedule I transactions, such acts do not qualify as a taxable supply.
What did the court decide?
Held that providing complimentary tickets without consideration is not a supply under GST and appellant cannot claim Input Tax Credit.