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GST Rate Determination & CA Opinion – Cooperative Housing Society Construction Project, New Town Action Area III, West Bengal We are seeking a practising Chartered Accountant with GST and real-estate/construction taxation experience to provide a written professional opinion determining the exact GST rate applicable to the construction contract for our cooperative housing project. Background and project structure - Location: New Town, Action Area III, under NKDA, West Bengal - The land is 99-year leasehold land - Original lessor/land authority: WBHIDCO - The plots are HIG plots - The land was completely vacant and undeveloped before commencement of the project - A new G+4 residential building is proposed to be constructed from scratch - The land is held by a registered cooperative housing society - The society will appoint a contractor/construction agency to construct the building. Crucial structure of the project This is not a commercial real-estate development project. There will be: - No sale of flats to third-party purchasers - No profit margin or commercial resale of flats - No developer purchasing the land and selling apartments - No intention to market or sell the apartments in the open market There are eight members of the cooperative housing society. The entire construction cost of the project will be shared equally among the eight members. After completion, the residential flats will be allotted among the eight existing members through a lottery/allotment mechanism, in accordance with the society's rules and applicable cooperative housing provisions. Therefore, the economic arrangement is essentially that the existing members collectively bear the cost of constructing the residential building through their cooperative society, rather than purchasing flats from a profit-making developer. GST question We need a professional determination of the exact GST rate applicable to the construction services/works contract provided by the contractor to the cooperative housing society. The CA should specifically determine whether the applicable rate is: - 5% - 12% - 18% - or any other rate/exemption. The opinion must consider whether the absence of any sale/profit and the fact that the eight existing members collectively fund the construction and subsequently receive allotments has any effect on the GST classification and rate. Specific legal questions to be addressed The CA should specifically analyse: 1. Whether the construction contractor is providing a works contract service to the cooperative housing society under Section 2(119) of the CGST Act. 2. Whether the transaction falls under the GST provisions applicable to construction of residential apartments by a promoter, or whether those provisions are inapplicable because: - the society already holds the leasehold land; - there is no commercial sale of apartments; - there is no third-party purchaser; - there is no developer making a profit from sale of flats; - the eight members are existing members of the society; and - the members collectively fund the construction. 3. Whether the cooperative housing society itself can be regarded as a promoter/developer for GST purposes merely because it undertakes construction for its members. 4. Whether the subsequent allotment of flats to the eight existing members by lottery constitutes a taxable supply under GST, and whether this has any bearing on the GST applicable to the contractor's construction services. 5. Whether the fact that the land was completely vacant before construction changes the GST treatment. 6. Whether the 99-year leasehold interest from WBUHCO has any impact on the GST classification. 7. Whether the HIG classification of the plots has any relevance to the applicable GST rate. 8. Whether the fact that there are eight members and the construction cost is divided equally among them affects the GST treatment. 9. Whether any Input Tax Credit (ITC) is available to the cooperative housing society or its members. 10. Whether there are any Reverse Charge Mechanism (RCM) implications. 11. Whether GST applies to the entire construction contract value, including construction materials, labour, subcontracting, etc., and the applicable valuation provisions. 12. Whether the contractor should charge CGST + SGST or IGST, depending on the precise nature/location of the supply. Deliverable We require a written, reasoned GST opinion rather than a simple verbal answer or generic GST calculation. The final opinion should clearly state: - Applicable GST rate - CGST/SGST split, where applicable - SAC/classification - Relevant sections of the CGST/SGST Acts - Relevant GST notifications and amendments - Relevant CBIC circulars/clarifications - Relevant GST Council decisions, advance rulings and judicial precedents, where applicable - ITC treatment - RCM implications - Treatment of the subsequent allotment of flats - Reasons why alternative rates (particularly 5%, 12% and 18%) do or do not apply - Any factual assumptions on which the opinion depends. Professional certification The opinion should be issued by a practising Chartered Accountant and should contain the professional's: - Full name - ICAI Membership Number - Firm name, if applicable - Firm Registration Number, if applicable - GSTIN, if applicable - UDIN, where applicable - Signature - Date The CA should be willing to stand behind the written opinion professionally and identify the exact statutory/notification basis for the conclusion. Proposal requirements Please provide: 1. CA/firm credentials. 2. ICAI membership details. 3. Relevant experience in GST, construction and cooperative housing societies. 4. Examples of similar matters handled, without disclosing confidential client information. 5. Professional fee. 6. Turnaround time. 7. Confirmation that the deliverable will be a written, signed professional opinion, rather than merely an informal consultation. Important: Applicants should not simply state that residential construction is subject to "5% GST." The specific facts of this project must be analysed, particularly the cooperative structure, existing members, absence of commercial sale/profit, vacant land, 99-year leasehold, equal sharing of construction cost, and allotment of flats among the eight members by lottery.
Project ID: 40637277
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Hi there! Your cooperative housing project in New Town presents a fascinating GST classification scenario, particularly regarding the principle of mutuality, land leasehold status, and works contract applicability under Section 2(119). Operating through my professional compliance firm, we specialize in highly technical real estate GST assessments and can provide the authoritative, UDIN-certified Chartered Accountant opinion you require. We will meticulously analyze the absence of commercial sales and the cost-sharing structure to definitively determine the precise GST rate, ITC eligibility, and RCM implications. Your final deliverable will be a comprehensive, legally backed memorandum citing all relevant CBIC circulars, advance rulings, and statutory notifications. We are fully equipped to stand behind our assessment to protect your society from future regulatory scrutiny. Please note that the final pricing will be finalised once I review all the specific agreements and the exact scope of work. I look forward to delivering the precise statutory clarity your eight members need to move forward confidently!
₹1,500 INR in 7 days
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Dear Client, I have carefully reviewed the requirements for determining the precise GST rate for your Cooperative Housing Society construction project in New Town, West Bengal. With a strong foundation in accounting, taxation principles, and detailed compliance analysis, I am fully equipped to examine the nuances of your 8-member co-op structure, the 99-year leasehold land terms, the absence of commercial profit-making developers, and the lottery allotment mechanism under the CGST/SGST Acts. What I will deliver: A comprehensive, reasoned, and professional written opinion addressing all 12 specific legal questions outlined in your project brief. Clear statutory, notification, and judicial basis (including CBIC circulars and relevant GST Council considerations) for the applicable rate (whether 5%, 12%, 18%, or exemption). Detailed analysis on RCM implications, ITC treatment, and the distinction between a traditional commercial promoter and a member-funded cooperative construction model. I look forward to providing you with a rigorous and reliable professional determination. Best regards, Harwan Gamal Ali
₹850 INR in 3 days
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I am a Practising Chartered Accountant with experience in GST advisory, construction/real-estate taxation and audits. I can provide a reasoned and signed GST opinion for your cooperative housing project. I will analyse the 99-year leasehold land, vacant HIG plots, contractor construction, eight existing members, equal cost sharing, absence of commercial sale/profit, and allotment of flats through lottery. The opinion will assess whether the contractor’s service is a works contract under Section 2(119) of the CGST Act, whether promoter/developer provisions apply, and whether the correct rate is 5%, 12%, 18% or otherwise. It will cover: • SAC and CGST/SGST or IGST applicability • Acts, notifications, amendments and CBIC circulars • GST Council decisions, advance rulings and judicial precedents • ITC and RCM implications • Valuation including materials, labour and subcontracting • GST treatment of subsequent flat allotment • Impact of leasehold land, HIG status, vacant land and cooperative structure • Reasons for accepting/rejecting alternative GST rates • Assumptions, risks and compliance recommendations Deliverable: signed professional opinion with CA/firm credentials and UDIN, wherever applicable. I will provide a defensible, fact-specific conclusion based on applicable law, not a generic 5% residential-rate answer.
₹1,500 INR in 2 days
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