AGL 38.02 Increased By ▲ 0.08 (0.21%)
AIRLINK 197.36 Increased By ▲ 3.45 (1.78%)
BOP 9.54 Increased By ▲ 0.22 (2.36%)
CNERGY 5.91 Increased By ▲ 0.07 (1.2%)
DCL 8.82 Increased By ▲ 0.14 (1.61%)
DFML 35.74 Decreased By ▼ -0.72 (-1.97%)
DGKC 96.86 Increased By ▲ 4.32 (4.67%)
FCCL 35.25 Increased By ▲ 1.28 (3.77%)
FFBL 88.94 Increased By ▲ 6.64 (8.07%)
FFL 13.17 Increased By ▲ 0.42 (3.29%)
HUBC 127.55 Increased By ▲ 6.94 (5.75%)
HUMNL 13.50 Decreased By ▼ -0.10 (-0.74%)
KEL 5.32 Increased By ▲ 0.10 (1.92%)
KOSM 7.00 Increased By ▲ 0.48 (7.36%)
MLCF 44.70 Increased By ▲ 2.59 (6.15%)
NBP 61.42 Increased By ▲ 1.61 (2.69%)
OGDC 214.67 Increased By ▲ 3.50 (1.66%)
PAEL 38.79 Increased By ▲ 1.21 (3.22%)
PIBTL 8.25 Increased By ▲ 0.18 (2.23%)
PPL 193.08 Increased By ▲ 2.76 (1.45%)
PRL 38.66 Increased By ▲ 0.49 (1.28%)
PTC 25.80 Increased By ▲ 2.35 (10.02%)
SEARL 103.60 Increased By ▲ 5.66 (5.78%)
TELE 8.30 Increased By ▲ 0.08 (0.97%)
TOMCL 35.00 Decreased By ▼ -0.03 (-0.09%)
TPLP 13.30 Decreased By ▼ -0.25 (-1.85%)
TREET 22.16 Decreased By ▼ -0.57 (-2.51%)
TRG 55.59 Increased By ▲ 2.72 (5.14%)
UNITY 32.97 Increased By ▲ 0.01 (0.03%)
WTL 1.60 Increased By ▲ 0.08 (5.26%)
BR100 11,727 Increased By 342.7 (3.01%)
BR30 36,377 Increased By 1165.1 (3.31%)
KSE100 109,513 Increased By 3238.2 (3.05%)
KSE30 34,513 Increased By 1160.1 (3.48%)

Punjab Revenue Authority (PRA) has issued instructions to companies providing services to exploration and production (E&P) companies regarding taxability of consumption of material and sales tax on services under the provincial sales tax laws.
It is learnt that the PRA has ruled that a service shall remain and continue to be treated as service regardless whether or not rendering thereof involves any use/supply/disposition/consumption of any goods and service provider companies are called upon not to split their invoices who are required to charge, collect & pay Punjab Sales Tax on the gross value of services provided to E&P companies.
In this regard, the PRA has issued instructions to E&P service provider companies regarding taxability of consumption of material and sales tax on services under the provincial sales tax laws and directed that services involving any consumption of products shall not be separately charged to sales tax.
When contacted a tax expert told Business Recorder that in case of contractors/service providers of E&P companies wherein services like cementation, coil tubing etc have been provided by the service providers with inevitable utilisation of chemicals, products etc, instead of provisions of Sales Tax Act, 1990 relevant law on the issue shall be tax on services chargeable under the relevant provincial legislations like Punjab Sales Tax on Services Act, 2012. There is no concept of "Split Supplies". Supply is either service in totality or not. If it is not a supply of goods, then it is service.
PRA instructions states, "it has been brought into the knowledge of PRA that certain service providers/contractors providing services in respect of mining of minerals, oil and gas including related surveys and allied activities are artificially splitting invoices into services and goods parts under a misconception. It is, therefore, imperative to clarify that a service remains and continues to be treated as service regardless whether or not rendering thereof involves any use supply disposition or consumption of any goods either as an essential or as an incidental aspect of such rendering.
For the purpose of determining the tax liability the value of the taxable service is to be the gross amount of consideration received by the service provider from the recipient of service (section 7 of the Punjab Sales Tax on Services Act, 2012) In other words the provision or consumption of goods under a taxable service does not change the overall character of the service contract. The term 'service' has been comprehensively defined in section 2(38) of the Act, 2012 ibid along with an explanation, PRA stated.
The service provider companies are therefore, called upon not to split their invoices issued to E & P companies into artificial parts issued under a particular service contract. They are required to charge, collect and pay Punjab sales tax on the gross value of the taxable services provided to E&P companies: PRA directions added.

Copyright Business Recorder, 2015

Comments

Comments are closed.