Supreme Court upholds HC ruling on
input tax credit for telecom towers
The Supreme Court on Friday upheld a
Delhi High Court's December ruling that favoured Bharti Airtel and Indus Tower,
holding that telecom towers qualify as "movable" property and thus
eligible for input tax credit (ITC) under the tax laws.
Reaffirming pre-GST position on mobile
towers ceasing to be an 'immovable property,' a bench of Justice Pankaj Mithal
and Justice Prasanna B Varale dismissed the income tax department's appeal and
upheld the HC's December 12 decision that held that telecom towers fall within
the scope of plant and machinery and do not fall within the ambit of Section
17(5)(d) of the Central Goods and Services Tax Act, 2017, and therefore, were
eligible for ITC.
It also upheld the HC decision to quash
the demand and show cause notices issued to Bharti Airtel and Indus Towers.
The department had challenged the HC
ruling that refused to characterise mobile towers as immovable property,
thereby granting ITC on inputs and input services used for setting up such
passive infrastructure. It stated that the explanation at the end of Section
17(5) of the CGST Act had excluded the telecommunication towers specifically
from plant and machinery.
The top court refused to accept the
revenue department's stand to differentiate between the service tax regime and
the GST framework in the treatment of such infrastructure, stating that it
would not permit such "hair-splitting" interpretations.
Senior counsel Arvind P. Datar, appearing
for Airtel, argued that the intent of the law, both in the pre-GST and post-GST
regime, had been consistent in denying the credit to be only in the context of
immovable property, whether pre-GST or post-GST.
The telcos' stand was that the
telecommunication towers were moveable items of essential equipment which can
be dismantled at site and, thus, capable of being moved. It is only the
concrete structure on which those telecommunication towers were placed which
could be treated as an immovable element of that equipment whereas steel or
metal structures were capable of being shifted to other locations, they said.
www.economictimes.indiatimes.com,
dt. 11-08-2025