In this model that is the place of supply rules and the GST goes.
Now first understand on how do we determine the pace of Supply of Goods transactions in terms of supply
of goods can be broadly categorized as post supply that was movement of goods.
That is when the actual movement of goods takes place second is when supply is made on the direction
of the third person Cortis supply.
That does not import of goods.
Next is supply that was assembly or international goods and side of the customer and lastly supply on
That means as you know the GST is a destination based taxation.
Therefore it is very important to get them in the place of supply for the best.
I don’t know the incidence of tax determination of place of supply of goods and services is governed
by the place managers understand the blades are supplied with the hope of examples of info’s discuss
the cases where supplying was movement of goods and services place of supply is the location of goods
at the time and which they dominate for delivery to the recipient.
For example when goods are supplied from raw just to try to come in this case the pace of supply will
be considered to be tarkhan as the moment for delivery to the recipient injunction.
This will be construed to be an interstate supply and the supply was momentum goes between two states.
That is what you stand for.
And therefore I just.
There is indeed in goods and services tax will be applicable on this transaction.
Only complete goods are supplied.
We didn’t understand save for example from done.
In this case the blades of supply would be considered as cool as the need for delivery to the recipient
in order does.
This transaction will be construed as Ingrassia supply as the supply is delisted and therefore the GST
GST would be applicable on this transaction now.
Virgo’s understand on how do we determine the place of supply in case the supply is made on the direction
of the Tarbush the place of supply.
In such cases is the principal place of business on the third person.
That is the I guess which is mentioned on the registration certificate.
Niggas understand this with the help of an example somebody from JP who says go to company B.
Hollywood Company B direct company to deliver the goods at its client’s place.
Company C in by.
In this case the place of supply would be Mumbai as the principal place of business or third person
by this company she is Mumbai does.
It will be construed as an interstate supply as the supply between two states.
That is what I just told him how Rashtra and therefore begin to get goods and services tax that is IGAD
will be applicable on this transaction.
No let us assume what it is from day to day scooched to Company B in Mumbai Habiba Company B dilates
Company A to deliver the goods.
Please come and see.
In this case the place supply would be Doku as the principal place of business on the top person is
to put this transaction would be construed as an interest rate supply.
The supply is within the state of Pakistan and therefore CDC and DST will be applicable on this transaction
Lex’s initial phase of supply.
When it does not involve movement of goods of supply in such cases is the location of goods and the
Bible delivery company.
It says it stops storing warehouses by a company based in Calcutta.
Company B has taken company is factory warehouse on operate from.
In this case please supply it but I also look at the company in this case this location in Mumbai and
the location is also Mumbai and therefore it is encrustations and hence cities.
And it used to be applicable on this project.
On the contrary company in stores starting with housing a company based in Concord.
This is company B Company is fucking gingerbread house used to operate from.
In this case the place supplies.
As the cars are located in and the location of the center is in what it does.
It is an interstate transaction and hence I used to be at any given distance the next is a place of
supply and supply or installation or assembly of course.
I site side in this case the place of supply is the place of installation or as you understand.
Again with the help of an example suppose company in Maharashtra agrees to supply live in complete install
premises of buyer in place of supply in this case will be as the left is installed.
In this case the location of the supply is Morriston and the place of supplies.
Hence it would be construed as inter-state supply and does I used to be applicable on this transaction.
Lastly this goes on the examination of place of supply in case where guns are taken onboard often convince
the base of supply of goods is the location with such contact on both understand this with the help
of an example.
Is loaded in Delhi for the flight from Mumbai in this case location of the flying start point is that
place of supply is telling as location or fall is not in there does it.
Are we going to be in fan’s action and hence will be applicable.
Understand the place of supply in case of gold import or export it.
In case of goods in India the place of supply is the location of the importer.
On the other hand in case of exporting goods from India please supply is the location outside India.
No understand this with the help of an example company in Malaysia says that the company in this case
the place of supply is Mumbai.
That is the location of the border and thus it will be construed as interstate transaction and hence
will be applicable.
If company member says that the company being malicious in this is the place of supply’s Malaysia that
is located outside India.
Thus it would be construed as export and hence no GST will be applicable on this transaction.
Finally this could be the place of some ground in the previous life.
Now no one understand on how we get them in the place of supply of services.
The criteria for determining the place of supply of services following those unused location based services
objects on things one location of registered persons or others and the whole country can Legos.
I miss that whole lot of location based services which is the location of the object of the take off
of it as I understand the types of fans actions which fall under the category of location based services
first one is transactions related to immovable property accommodation on housing of functions all these
transaction the location of such a property or or this a big place or some place also makes these transactions
into admission the way these events are.
But the blaze of sub-Planck in case of said is will be the location of the event I actually hate all
the location of such box next is services on board.
Convince the blades of supply for search services to be the location of first children Point of Departure
Next is the easement services to the government for such services.
The place of supply shall be the state for which the aggregate is made is done.
As we saw the place of supply in case of location based services we now want to understand the place
of supply in case of farmers basic services like restaurants and getting glooming fitness and health
services for these services.
The pace of supply will be the location of the services they are actually perform.
Next is determination on the base of supply of services in case the location of the register person
or others are employed.
Niggas understand what type of transactions will be covered and the discarding of services to begin
So this is like banking financial or stockbroking services.
In this case the place of supply would be the location of the recipient of the services of the supplier
If the service is not linked to the account of the recipient of services then the location of the supply
of services will be treated as a place of supply.
Next is Internet services in of services the place of supply is the location of the register so this
recipient see the location of the registers and is not available then the address on the record of the
supplier of services won’t be treated as a place of supply of service.
Next is organization of events exhibitions of sponsorship services.
In such cases the place of supply is the location of the logistics of this visit.
If the location of service is not available then the place of supply will be the location of such event
next to his services or transportation of goods including by me or by God here.
In this case the place of supply is the location of this registered service recipient.
If it is not available then the location of the goods being handed over for the transportation will
be treated as the place of supply of service.
Next is training and performance appraisal services.
In this case the place of supply or service is the location of the register service recipient.
If it is not available then the place of supply will be the location my services are actually from.
Lastly we will discuss in place of supply of servers in case of residual triggering.
This means that any transaction or services which does not get covered under any of these issues are
things that were discussed before then.
In this case the general rule has to be applied the general formulation determination of supply of Somas
is the location of the register service recipient.
If it is not available then the case on their cards which is available would be considered to be a place
of supply service.
And finally if both of the above were not available then the location of the supplier of these would
be considered as a place of supply of service and lastly that senior transportation services in this
Again the basis of supply will be the location of registered services.
If it is not available then the location of passengers and bosonic can for a condition will be treated
as a place or supply.
Also as we now know the police have supplied the goods and services our next month.
This is about our supply of goods and services.