The ST Department has served the richest cricket body in the world as many as 19 show-cause notices in a period of 10 years so far.

As per BCCI treasurer Aniruddh Chaudhary's report which is attached with the Annual Report (2013-14), the BCCI has been receiving showcause cum demand notices from the tax authorities since the financial year 2004-05 until 2012-13 and the exact amount accrued is Rs 536.13 crore.

The information is a part of Schedule 15 of the treasurer's report, which says that the ST department has served 19 showcause cum demand notices during this period.

According to the report, treasurer Chaudhary has apprised the board members of the matter saying that the BCCI has challenged and will contest all the claims made by ST dept having taken legal advice in this regard.

The board had filed an appeal before Central Excise and Service Tax Appellate Tribunal (CESTAT) at the end of the financial year of 2013 has and the matter is still pending.

If one goes by the content of the demands made by the Service tax authorities over the years, bulk of it is regarding BCCI's earnings from royalty income and media rights over the years which is in the tune of few thousand crores.

According to the report, during the 2005-06, ST demanded an amount of Rs 42.81 crore as tax payable on sponsorship/logo money, royalty income, media rights under categories of Advertising Agency Services and Intellectual Property Services for that particular financial year.

BCCI's main objection has been ST categorising their royalty income and income from media rights under the Intellectual Property Services which makes it more taxable.

This is one area where ST has demanded Rs 39.21 crore (2006-07), Rs 80.51 crore (07-08), Rs 54.54 crore (08-09), Rs 85.16 (090-10), Rs 65.79 cr (2010-11) in the subsequent financial years.

Some of the other heads where ST has demanded money and BCCI has decided to challenge are tax on players' fees, franchise fees, players transfers' fees, franchisee license incomes.

In some cases, Media Rights Income has been clubbed under 'franchisee services' category.

In another part of the report, in a separate order from the Commissioner of Service Tax back in November 2, 2011, a demand of Rs 9.41 crore as service tax was demanded for a period of September 2004-May 2009, and Rs 2.88 crore from a period of June 2009 to March, 2010.

This was after ST categorised production costs under Programme Producer Services.

Further an interest of Rs 9.41 crore was also levied.

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