Description
GST on Works Contract & Real Estate Transactions is a focused commentary on the application of GST to two of the most complex and litigation-prone sectors under the Indian indirect tax regime—works contracts and real estate transactions. It bridges the foundational machinery of GST (supply, classification, valuation, input tax credit, place and time of supply, reverse charge) with the sector-specific provisions governing residential and commercial apartments, transfer of development rights, FSI, long-term leases, joint development arrangements, leasing and renting of immovable property, and government-related activities.
This Edition incorporates the abolition of GST Compensation Cess on goods and services with effect from 1st February 2026, the Input Service Distributor regime mandatory from 1st April 2025, and the post-18 July 2022 rate position on works contract services.
This book is intended for the following audience:
- Chartered Accountants, Cost Accountants, Company Secretaries, and Advocates handling GST advisory, compliance, litigation, and audit in the construction and real estate sectors
- In-house Finance and Tax Teams of real estate developers, EPC contractors, infrastructure companies, builders, and promoters
- Government and PSU Procurement and Finance Functions dealing with works contracts awarded by or to public authorities
- Judicial Members and Tribunal Counsel engaged in adjudication, advance ruling, and appellate matters concerning real estate and works contract disputes
- Academicians and Advanced Students of Indirect Taxation seeking sector-specific application of GST principles
The Present Publication is the 11th Edition | 2026, amended by the Finance Act 2026. It is authored by V.S. Datey with the following noteworthy features:
- [Finance Act 2026 Amendments] Fully incorporated, including the abolition of GST Compensation Cess w.e.f. 1st February 2026
- [Two-Part Architecture] Part I lays the foundational GST machinery; Part II applies it sector-specifically to works contracts and real estate
- [Complete Real Estate Regime] Post-1 April 2019 framework for residential and commercial apartments, the 1%/5% rate option, RREP vs REP distinction, affordable residential apartments, ongoing project transition, and valuation when consideration includes land
- [Joint Development Agreements, TDR & FSI] Reverse charge on promoters, exemption for development rights used in residential apartments sold before completion, treatment of pre-31st March 2019 transfers, valuation of construction service against development rights, area-sharing arrangements, and accommodation given to existing tenants during transition
- [Works Contract Services] Distinction between construction service and works contract service, withdrawal of the 12% concessional rate w.e.f. 18th July 2022, surviving concessional entries for specified infrastructure works, sub-contractor eligibility, and DBOT/HAM road contracts
- [Services to and by Government] Pure services to Government, exempt and concessional services to and by local authorities and Union Territories, and reverse charge on renting of immovable property by Government
- [Input Tax Credit] Manner of taking ITC, blocked credit, proportionate ITC for taxable and exempt supplies, ITC on capital goods, special provisions for banks/FIs/NBFCs, and the new ISD regime mandatory from 1st April 2025
- [Valuation Issues] Transaction value, deemed land value of one-third, prime location and development charges, related-party valuation, cost-plus and residual methods
- [Numerical Illustrations] Worked-out computations for ITC apportionment in REP and RREP, reverse charge under Section 9(4), and time-of-supply scenarios for promoters and landowners
- [Statutory & Case Law Anchoring] Each issue mapped to the underlying section, rule, notification, or circular, with integrated AAR, AAAR, CESTAT, High Court, and Supreme Court rulings
The coverage of the book is as follows:
- A Complete Guide to GST on Real Estate Transactions & Works Contract
- Foundational provisions and sector-specific application across twenty chapters
- Issues Pertaining to Projects/TDR/Development Rights/FSI/Leasing/Renting
- Including joint development agreements, area-sharing models, sale of apartments by landowner-promoter, and pooling of land parcels
- Services To and By Government
- Public administration services, exempt and concessional services, reverse charge on Central/State/UT and local authority renting
- Input Tax Credit
- Across four chapters covering manner of taking ITC, blocked credits, proportionate ITC, ITC on capital goods, and the post-1st April 2025 ISD regime
- Valuation Issues
- Transaction value, deemed land value, valuation of free apartments to landowners, related-party valuation, and cost-plus method
- Procedural Compliance
- Registration, invoicing, returns (GSTR-1, GSTR-3B, annual returns), payment of tax, e-way bills, road checks, anti-profiteering, GST TDS, and advance ruling
The book is organised into two Parts and twenty chapters, supported by fifteen Appendices.
- Part I — Basics of GST (Chapters 1 to 14) lays the foundational machinery—background and rates, taxable event and supply, classification, valuation, the full ITC framework across four chapters, ISD, place and time of supply, reverse charge, procedures, e-way bill, and miscellaneous issues including anti-profiteering, GST TDS, and advance ruling
- Part II — Taxability of Works Contracts and Real Estate Transactions (Chapters 15 to 20) applies this machinery sector-specifically—transactions relating to real estate, real estate services for residential and commercial apartments, TDR/FSI/upfront long-term lease amounts, leasing and renting of real estate, construction and works contract services, and government-related activities.
- Appendices I to XV reproduce the relevant CGST and IGST sections, CGST Rules, key extracts from Notifications 11/2017 and 12/2017—Central Tax (Rate), worked-out ITC computations for REP and RREP, reverse charge calculation under Section 9(4), declarations for ongoing projects, summary tables on reverse charge and time of supply for promoters and landowners, and consolidated CBIC clarifications on real estate projects (Parts I and II)

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