Hon’ble Supreme Court has concluded its hearing on online gaming. Here are the key arguments from the Revenue and Taxpayers sides

Author Mr. Vikas Agarwal tabulates the Supreme court ruling on online gaming as follows –

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AspectRevenue’s ArgumentsTaxpayer’s Arguments
Nature of ActivityOnce stakes are placed, all gaming (skill or chance) amounts to taxable betting/ gambling.Skill games remain skill-based despite stakes; stakes don’t convert skill into gambling.
Taxable SupplySupply is “chance to win”; platforms are suppliers, not mere facilitators, liable on full stake value.GST should apply only to platforms fee (commission), not the entire stake/ prize pool held by players.
ValuationGST applies on gross face value (total stakes), consistent with law and Council decisions since GST inception.Taxing full stakes causes double taxation; international best practice is taxing net gaming revenue (GGR).
Legal Scope & RulesPre-2023 and post-2023 laws cover gaming claims; 2023 clarifications don’t affect retrospective liablity2023 amendments introduce a new levy; pre-2023 demands lac legal basis and are ultra vires.
Classification issuesAbsence of specific HSN code doesn’t invalidate levy; “goods” classification under rate notifications suffice.Lack of proper Customs Tariff classification undermines the levy’s validity.
Platforms’ RolePlatforms organize and control games, set rules, match players, and handle payments-thus operators liable.Platforms merely facilitate between players; stakes and winnings belong to players, not operators.
Lottery AnalogyStakes in online games akin lotteries (chance to win prize) justify GST on stakes.Lottery is pure chance, state-run with distinct legal framework; differs fundamentally from skill-based games.
Centre vs State PowerGST on betting/ gambling is a Centre subject; State regulation limited to gambling regulation, not taxation.Skill stake protection under constitutional rights; State’s regulates public order, but GST is central tax.

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