XXXXX
XXXXX
XXXXXAttention: XXXXX
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Excise and GST/HST Rulings Directorate
Place de Ville, Tower A, 15th Floor
320 Queen Street
Ottawa, ON K1A 0L5Case: 8375March 9, 2000
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Subject:
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GST/HST APPLICATION RULING
XXXXX
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Dear XXXXX
Thank you for your letter of September 22, 1999 (with attachments), concerning the application of the Goods and Services Tax (GST)/Harmonized Sales Tax (HST) to the supply of XXXXX[.] Please note that as of November 1, 1999, Revenue Canada became the Canada Customs and Revenue Agency.
Statement of Facts
Our understanding of the facts is as follows:
1. XXXXX XXXXX[.]
2. XXXXX[.]
3. XXXXX[.]
4. Additional transcripts, over and above the five previously mentioned, cost XXXXX each.
5. The results of these tests are sent directly by XXXXX[.]
Ruling Requested
Is the supply of an XXXXX subject to GST or HST when it is mailed to a university in a harmonized province?
Ruling Given
The supply of an additional transcript is considered a service for GST/HST purposes. Therefore, notwithstanding that a transcript may be mailed to a university in a participating province, since the service is performed all or substantially all in a non-participating province XXXXX it will be subject to tax at the rate of 7%.
This ruling is subject to the general limitations and qualifications outlined in section 1.4 of Chapter 1 of the GST/HST Memoranda Series. We are bound by this ruling provided that none of the above issues is currently under audit, objection, or appeal; that there are no relevant changes in the future to the Excise Tax Act, or to departmental interpretative policy; and that you have fully described all necessary facts and transaction(s) for which you requested a ruling.
Explanation
Section 2 of Part V of Schedule IX to the ETA provides that, subject to Part IV and Parts VI to VIII of the Schedule, if all or substantially all of the Canadian element of a service is performed in a particular province, the service is regarded as made in that province. In the case at hand, the supply of additional transcripts will be subject to tax at the rate of 7% as the service is performed entirely in XXXXX which is a non-participating province.
Should you have any further questions or require clarification on the above matter, please do not hesitate to contact me at (613) 952-0329.
Yours truly,
Gabrielle Nadeau
Charities, NPO's and Education Unit
Public Service Bodies & Governments Division
Excise and GST/HST Rulings Directorate
c.c.: |
M. Place
P. McKinnon
I. Bastasic
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Legislative References: |
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NCS Subject Code(s): |
R- |