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Date: 15-03-2002
Notification No: Service Tax Circular No 41/2002 CX(ST)
Issuing Authority: Service Tax  
Type: Circular
File No: 341/53/2001-TRU
Subject: Chit Fund Services Not Taxable

Sir,

I am directed to say that doubts have been raised as to whether the services rendered by a chit fund is classifiable in the category of taxable service under "banking and other financial services". As per section 65(10) of the Finance Act,1994, "banking and other financial services" includes asset management including portfolio management, all forms of fund management, pension fund management, custodial depository and trust services, but does not include cash management, provided by a banking company or a financial institution including a non banking financial company. The matter under consideration is as to whether the activity of chit funds falls in the category of fund management for the purposes of levy of the service tax on such activity.

2. The matter has been examined by the Board in consultation with Reserve Bank of India. The Reserve Bank of India advised that the business of a chit fund is to mobilise cash from the subscribers and effectively movement of such cash to keep it working. Therefore the activity of chit fund is in the nature of cash management, which is specifically excluded from the scope of the "banking and other financial services" as defined under section 65 (10) of the Finance Act, 1994.

3. It view of facts mentioned above, it is clarified that "banking and other financial services" will not include the service rendered by chit funds. Accordingly, the service rendered by chit funds will not fall in the category of taxable service as defined is section 65 (72) (zm) of the Finance Act, 1994.

4. Trade and field formation may be informed accordingly.

5. Receipt of this circular may please be acknowledged.

Sd/-
(P.R.Chandrasekharan)
Director (TRU)

F.No.341/53/2001-TRU

       

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