Inter state movement of goods os services

inter state movement of various modes of conveyances between distinct persons (carrying goods or persons) shall not be treated as either supply of goods nor supply of services. Except where it is undertake for further supply of such conveyance.
Is intra state movement also hiddenly covered , as if it inter state movement is not taxable so intra state movement will also be not..
Replies (2)
Quick Summary
This discussion clarifies that the interstate movement of goods or services via conveyance between distinct persons is generally not considered a taxable supply. However, an exception applies if the conveyance is being moved for further supply. The conversation also explores whether this exemption implicitly covers intra-state movement, suggesting that if interstate movement isn't taxable, intra-state might also be exempt. An example was requested for a more precise answer.

Dear Harshit can you put your query with example , will easy for me to give precise reply
There is a statement in registration chapter saying that inter state movement of goods and services for conveyance between distinct persons shall not be treated as goods nor services.
Except when it carried for furthur supply.
My query- Is intra state movement also hiddenly covered in this?

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