Page 123 - GSTL_27th August 2020_Vol 39_Part 4
P. 123
2020 ] IN RE : VIPPY INDUSTRIES LTD. 449
(2) to achieve a suitable daily diet by supplementing the basic
farm-produced feed with organic or inorganic substances
(supplementary feed); or
(3) for use in making complete or supplementary feeds.
As per The Explanatory Note the product “preparation of a kind used in animal
feeding - bio-processed meal (SOYPRO) is classifiable under sub-heading 2309 90
90.
3.10 The Appellant has cited the following case laws in support of their
case :
(a) As per decision of AAR in the case of National Plastic Industries Ltd.
reported in 2018 (16) G.S.T.L. 287, it has been decided that classifica-
tion to be decided as per terms of headings, sub-headings and tariff
item and the relevant section/chapter notes/sub-notes in terms of
interpretative rules to the Customs Tariff.
(b) As per decision of AAR - GST in the case of Maheshwari Stones Sup-
plying Company reported in 2018 (13) G.S.T.L. 345, Heading which
provide more specific description to be preferred over heading
providing general description.
(c) As per decision of AAR - GST in the case of C.P.R. Mill reported in
2018 (17) G.S.T.L. 146, cattle feed has been classified under 2309 of
tariff and exempted vide Sr. No. 102 of Notification No. 2/2017-C.T.
(Rate).
(d) As per decision of AAR - GST in the case of Srivet Hatcheries report-
ed in 2018 (19) G.S.T.L. 140 (A.A.R. - GST) [it was] held that Biofos
mono calcium phosphate/Di-calcium phosphate - Animal/Poultry/
Aqua feed supplement - Exemption under GST - Admissibility -
Aforesaid product classifiable under Tariff Item 2309 90 90 of Cus-
toms Tariff Act, 1975, is a feed grade mono calcium phosphate and
being marketed accordingly - Thus it is fully covered under Entry
102 of Notification No. 2/2017-C.T. (Rate) - Exemption admissible.
4. Question raised before the Authority :-
The following questions have been posted before the Authority :
Whether the product “preparation of a kind used in Animal Feeding -
Bio Processed Meal” will fall under HS Code 2309 90 90 and applicable
rate of GST on said product shall be NIL as per Notification No. 2/2017-
C.T. (Rate), dated 28-6-2017?
5. Officer’s view point :
The Superintendent (Tech.), CGST & Central Excise, Division Dewas
vide his letter F. No. IV(16)100/Misc./Tech/CGST/17-18/Pt.II/1409, dated 7-11-
2019, has forwarded department’s view point in respect of the issue raised in the
application. It is submitted in the report that the statement of relevant facts men-
tioned in the application by the party appears to be correct.
6. Record of Personal Hearing : Shri C.L. Dangi, Advocate and Shri
Ravi Shankar Choudhary Advocate of the applicant, has appeared for Personal
Hearing and reiterated the points mentioned in their written submission dated
26-7-2019, 14-10-2019 and 18-11-2019.
GST LAW TIMES 27th August 2020 123

