While
Service Tax is levied on almost services, barring few listed in
negative list and exempted services, there are certain sectors which
enjoy the special privileges. Education sector has got immunity from
Service Tax for some services while some others are exempt. Education is
one such sector which enjoy privilege under Service Tax and rightly so.
While services in relation to in school and pre-school education are
not taxable at
all, being in negative list, higher education as a part
of a curriculum for obtaining a qualification recognized by law in India
is also not taxable. Similarly, there is no Service Tax on any approved
vocational course. There is also a specific exemption for services
provided to educational institutions in respect of exempted education by
way of renting of immovable property and auxiliary services.The following services relating to education are specified in the negative list -
pre-school education and education up to higher secondary school or equivalent
education as a part of a prescribed curriculum for obtaining a qualification recognized by law for the time being in force;
education as a part of an approved vocational education course
Services
provided to educational institutions are not covered under in this
entry. However, certain services provided to educational institutions
are separately exempted by Notification No. 25/2012-ST, dated 20-6-2012.
The following services provided to an educational institution in respect of education are exempted from service tax, by way of,-
(a) auxiliary educational services; or
(b) renting of immovable property
Thus, auxiliary education services shall cover the services in relation to educational activities only and include -
(i) any service relating to imparting any
knowledge
education
development of course content
other knowledge enhancement activity
(ii) whether for students or faculty
(iii) out sourced activities ordinarily carried out by educational institutions
(iv) services in relation to -
admission
conduct of examination
catering of students under any mid day meal scheme sponsored by GovernmentTransportation of students or faculty
Ministry of Finance (Central Board of Excise & Customs) had recently clarified on exemption provided to auxiliary services provided to education institutes vide Circular No. 172/7/2013-ST dated 19 September, 2013, as a response to various representations from educational sectors across the country. The Circular states in its operative clarification as under –
"3. By
virtue of the entry in the negative list and by virtue of the portion of
the exemption notification, it will be clear that all services relating
to education are exempt from service tax. There are many services
provided to an educational institution. These have been described as
“auxiliary educational services” and they have been defined in the
exemption notification. Such services provided to an educational
institution are exempt from service tax. For example, if a school hires a
bus from a transport operator in order to ferry students to and from
school, the transport services provided by the transport operator to the
school are exempt by virtue of the exemption notification.
4. In addition to the services mentioned in the definition of “auxiliary educational services”, other examples would be hostels, housekeeping, security services, canteen, etc."
Owing
to prevailing confusions amongst tax payers and rumors, Ministry of
Finance has issued a clarification wherein taxability of various
services provided to educational institutes has been clarified. There
are many services provided to an educational institution. These are
described as auxiliary education services and they have been defined in
the exemption itself. Such services provided to an educational
institution are exempt from Service Tax. For example, if a school or a
college hires a bus from a transport operator in order to ferry students
to and from school or college, the transport services provided by the
transport operator to the school are exempt by virtue of the specific
notification. Similarly, services in relation to hostels, house–keeping,
security services, canteen etc shall be exempt from levy of Service
Tax.
However, this
exemption has a catch. These exemptions are available only for
educational institutes and not for commercial coaching institutes. Thus,
any coaching or training or tuition aiding the education would not be
able to enjoy this exemption, as the exemption is only for education or
services in relation to education. Further, services provided to such
educational institutes or bodies alone are exempt.
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