---
title: "No GST at Duty Free Shops: Allahabad HC"
date: 2019-06-18
author: "Pathik Choudhury"
url: https://ksandk.com/tax/no-gst-at-duty-free-shops/
---

# No GST at Duty Free Shops: Allahabad HC

Posted On - 18 June, 2019 • By - Pathik Choudhury

In **Atin Krishna V. Union Of India Thru Secy. Ministry of Finance and Others**[[1]](#_ftn1), the Division Bench of Hon’ble Allahabad High Court comprising of Justice Pankaj Kumar Jaiswal  and Justice Rajnish Kumar has clarified that the sale or supply of goods at the Duty Free Shops at the arrival and departure terminals of international airports would be considered as export of goods under Customs Law and would also be considered as export of goods under GST Act, hence, no GST at Duty Free Shops or no tax shall be levied in case of purchase made at Duty Free Shops.

### **Background** – No GST at Duty Free Shops

The Petitioner had filed a petition  

in public interest praying before the Hon’ble Court to ensure that the  

provisions of the CGST Act, 2017, Uttar Pradesh GST Act and IGST Act, 2017 are  

implemented in proper manner qua the Duty Free Shops which are being operated  

at Chaudhary Charan Singh International Airport, Lucknow. The Petitioner  

contended that the Respondent No. 3 i.e. the Duty Free Shop at Chaudhary Charan  

Singh International Airport, Lucknow has been operating since 2004, and the  

shops are being governed under the provisions of the Customs Act, 1962, whereas  

the shops should obtain registration under CGST Act and SGST Act and the  

business activity of the shops attracts the provisions of the GST Act. The  

Petitioner further contended that the provisions of the abovementioned statutes  

are being misinterpreted resulting in providing various exemptions to the Duty  

Free Shops which is causing huge loss to the public exchequer.

### **Petitioner’s Contentions**

Contentions raised by the Petitioner  

are as follows:

1. Duty  

Free Shops are liable to pay IGST on the goods imported into the territory of  

India.
2. Sale  

of goods by the Duty Free Shops to international passengers at arrival  

terminals should be considered as intra state supply of goods and applicable  

taxes under Section 9 (1) of CGST Act and SGST Act should be charged on such  

sale.
3. Duty  

Free Shops are incorrectly permitted to claim refund of Input Tax Credit on GST  

paid on service of renting of immovable property by Airport Authority of India  

and procurement of domestic goods and services because such refund is granted  

when sale made to international passengers at departure terminal is export of  

goods hence, zero rated.
4. The  

Petitioner also contended that the a sale by Duty Free Shops must suffer IGST  

the moment the goods crosses the territorial waters of India, therefore such  

supply of goods by Duty Free Shops must be subjected to tax under Section 5 of  

IGST Act.

### **Judgment** – No GST at Duty Free Shops

The Hon’ble Bench held that the  

supply of goods to and from the Duty Free Shops do not cross the custom  

frontier of India, hence as per Section 7(2) of IGST Act, it is to be regarded  

as supply of goods in course of inter-state trade or commerce. The Hon’ble  

Court has further observed that crossing the custom area includes the area of  

custom port, custom airport or land custom station or a warehouse and also the  

area where the imported goods are ordinarily kept before clearance by custom  

authority. The Duty Free Shops at the airport are part of custom area as denied  

under Section 2 (11) of Customs Act, hence the supplies of goods made by them  

will be termed as inter-state supply. Thus, there cannot be an inter-state  

supply liable to CGST and SGST under Section 9 of the CGST Act and SGCT Act.  

The Hon’ble Court has further observed that effective taxable event for the  

purpose of levy of custom duty is the time when the goods cross the custom  

barrier and the bill of entry for home consumption is filed. Hence, when the  

goods are imported from outside India and are kept in customs warehouse and  

exported therefrom, the stage for payment of custom duty or IGST does not  

arise.

In the situation, when an arriving  

passenger purchases goods from a Duty Free Shops at the arrival terminal of an  

airport, the supply of goods takes place before clearance for home consumption.  

After the goods are supplied, the passenger crosses the custom frontier at the  

airport with the supplied goods and then clears the same for home consumption.  

Hence, the goods are cleared by passengers for home consumption under Baggage  

Rule, 2016 and not by Duty Free Shops. Thus no custom duty is payable by the  

Duty Free Shops and the passengers are liable to pay the applicable custom  

duties.

The Hon’ble Bench further held that  

the sale or supply of goods to departing international passengers are not  

cleared for home consumption and therefore, will not attract GST. The sale or  

supply of goods by the Duty Free Shops of international departure terminal  

would be considered as export under the Customs Law and thus would also be  

considered as export of goods under GST Act. It has also been held by the  

Hon’ble Bench that the invoice which is issued to the passengers after the sale  

of the goods would deem to be “shipping bill” for the purpose of export under  

Section 69 of Customs Act. Rejecting the contention of the Petitioner that  

there is no export as the goods do not have a specific destination, the Hon’ble  

Court also held that the destination for export would be the foreign country  

where the passenger is going and the passengers would act as the carrier of the  

goods.

The Hon’ble Court has further held  

that  sale or supply of goods falls under  

export of goods and export of goods is a zero-rated supply and person making  

zero-rated supply is entitled to claim refund of Input Tax Credit under Section  

16(1) and (3) of IGST Act. Therefore, Duty Free Shops are entitled to claim  

refund of Input Tax Credit on GST paid on service of renting of immovable  

property by Airport Authority of India and procurement of domestic goods and  

services.

### Contributed By – Pathik Choudhury  
Designation – Associate

---

[[1]](#_ftnref1) P.I.L. Civil No. 12929 of 2019

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