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Service Tax Circular
No. 90/1/2007-ST dated 03.01.2007
Applicability of service tax on international in-bound roamers under telephone
service – reg.
A question has arisen regarding the applicability of service tax levy on roaming
service provided to an international in-bound roamer, i.e., subscriber of a
foreign telecom network, when in India, by an Indian telecom service provider.
The telecom operators are of the view that in-bound roamer is not a subscriber
as no telephone connection is provided to him and such roamer does not undergo
the processes of registering as subscriber like entering into contract with the
visiting network, furnishing of identity, etc.
2. “Roaming” is a widely used term in wireless telecommunications that refers to
extension of connectivity service in a location that is different from the
location/network area of home network, and it occurs when a subscriber of one
wireless service provider physically moves to the network area of another
wireless service provider. “International roaming” refers to the ability of a
subscriber to move to a foreign service provider's network and use its network
for making and/or receiving a telephone call.
3. To enable an in-bound roamer to hook on to the visited network and avail of
telephone service, a temporary internal number is assigned by such network. Any
call made to/from a roaming mobile is routed through the visited network like
any other call. The details of usage of service by such a subscriber are
captured and billing account is transferred to the home network for receiving
the payments. The home operator then bills these calls to his subscribers.
Roaming fees are traditionally charged on a per minute basis, and they are
typically determined by the service provider's pricing plan.
4. In terms of the provisions of the Finance Act, 1994, telephone connection
service means ‘any service provided to a subscriber by the telegraph authority
in relation to a telephone connection’. Subscriber means ‘a person to whom any
service of a telephone connection has been provided by the telegraph authority’.
During international roaming, the visiting network provides service to a person
treating him as a subscriber on a temporary basis for the period during which
service is availed of by such person from the visited network. The only
difference is that the payment is not directly received from the subscriber, but
the same is routed through the home network. However, this does not alter the
essential characteristics of the service, which is of a telephone connection. As
regards the argument that no telephone connection is provided to an in-bound
roamer, a telephone connection does not necessarily mean providing a telephone
instrument or providing a SIM card. Telephone connection is provided so long as
the telecom operator provides the facility to a person to make a connection for
making or receiving a call (using a telephone) by assigning a unique
identification number to line/instrument or card used for making a call. An
identification number is essential, interalia, for routing the call to such
line/instrument or card and to bill for the call charges based upon the duration
of a call. Even if this number is allocated temporarily and internally, it
remains a service of telephone connection. Further, the issues of entering into
a contract or verification of the subscriber are not relevant to the levy of
service tax.
5. Therefore, during the period of roaming, the Indian telecom service provider
provides telephone service to an international in-bound roamer. This service to
in-bound roamers is delivered and consumed in India and, therefore, it is not an
export of service. International practice treats the telephone service provided
to an in-bound roamer by the visited network, for purposes of taxation, in the
same manner as a telephone service provided to any home subscriber.
6. Accordingly, the domestic telecom operators providing roaming service to
international in-bound roamers are liable to pay service tax on the amount
received through the home network on account of service provided to such
international roaming subscriber.
7. The field formations may take action, for collection of service tax on the
basis of this circular only in respect of such services which would be provided
to an international in-bound roamer from 15.1.2007 onwards. For the period prior
to this date, the matter is under examination of the Board.
8. Trade and field formations may be advised accordingly.
9. Hindi version will follow.
F. No. 149 / 4 /2005-CX.4
(Gautam Bhattacharya)
Commissioner(Service Tax)
Tele-fax 011-23092275