GST on Advertising & Media — Print 5%, Digital/Outdoor 18%
Complete GST guide for advertising and media: print advertising 5% (newspapers/magazines), digital advertising 18% (Google, Meta, social media), outdoor/billboard 18%, TV/radio/cinema 18%, celebrity endorsement 18%, influencer marketing barter deals, agency commission structure, and import of services (RCM on foreign ad platforms).
18%
Digital Advertising
5%
Print Advertising
18%
Billboard/Hoarding
18%
Social Media Marketing
18%
TV/Radio Advertising
18%
Celebrity Endorsement
18%
Ad Agency Commission
5%
Newspaper Ad Space
Advertising & Media — GST Framework
Print Advertising — 5% GST (Newspaper/Magazine)
PRINT ADVERTISING — 5%: Selling of advertising space in PRINT MEDIA: Newspaper advertising: 5% (SAC 998361). Magazine advertising: 5%. Journal/periodical advertising: 5%. Directory listing (Yellow Pages, etc.): 5%. Classified advertisements (print): 5%. Supplement/insert (in newspaper): 5%. WHY 5% (Not 18%?): Newspapers themselves: EXEMPT from GST (0% — essential commodity). But ADVERTISING SPACE in newspapers: 5% (reduced rate — to support print media). If it were 18%: advertisers would shift entirely to digital (killing print industry). 5% is a conscious policy decision to support print media survival. WHAT QUALIFIES AS 'PRINT': Physical newspaper/magazine (printed on paper). E-paper / digital edition of newspaper: NOT print → 18% (digital service). PDF version of magazine: 18% (digital). ONLY physical printed editions: 5%. ADVERTISEMENT AGENCY PLACING PRINT AD: Agency places ad in newspaper on behalf of client: Client → Agency: pays agency fee + media buying cost. Agency → Newspaper: pays 5% on ad space. Agency's service (commission/fee): 18% (advertising service — NOT print). Split billing: Agency fee: 18% (service — SAC 998361). Media cost (reimbursement — pure agent): If pure agent (Rule 33) — excluded from value (newspaper bills client directly). If not pure agent: 18% on full amount (agency fee + media cost). PRACTICAL: Most agencies don't qualify as pure agent for media buying. So: 18% on total billing to client (agency charges inclusive of media cost at 18%). Newspaper charges agency: 5% only. Agency gets ITC of 5% (from newspaper) → uses against 18% output. NEWSPAPER PUBLISHERS — COMPLICATIONS: Newspaper sells ad space at 5%. ITC for newspaper: Input goods (ink, paper): 5% (available as ITC). Printing machinery: 18% (available as ITC). Office rent: 18% (available as ITC). BUT: Newspaper's own sale is EXEMPT (0% on newspaper). Ad revenue: 5%. Newspaper has MIXED output: Exempt (newspaper sales) + Taxable (ad revenue at 5%). ITC apportionment required (Rule 42/43). Only ITC attributable to ad revenue is available. CLASSIFIEDS vs DISPLAY: Both are 5% if in physical print newspaper. Online classifieds (OLX, Quikr, etc.): 18% (digital platform — not print). Combination packages (print + digital): If separable: 5% (print portion) + 18% (digital portion). If inseparable (composite): classify by principal supply.
Digital Advertising — 18% GST (Google, Meta, Social)
DIGITAL ADVERTISING — 18%: Google Ads (search advertising): 18% (SAC 998361). Facebook/Meta Ads: 18%. Instagram Ads: 18%. LinkedIn Ads: 18%. Twitter/X Ads: 18%. YouTube Ads (pre-roll, display): 18%. Programmatic advertising: 18%. Display banner ads (websites): 18%. Native advertising: 18%. Email marketing (if ad service): 18%. Push notifications (commercial): 18%. ALL digital advertising: uniformly 18%. IMPORT OF SERVICES (OIDAR): Google Ads, Meta Ads, LinkedIn Ads: These are services from FOREIGN companies (Ireland/US entity). For B2B (registered recipient in India): RCM applies (Section 5(3) IGST — import of service). Recipient self-assesses 18% IGST under RCM. Claims ITC immediately (net: zero — but compliance required). For B2C (individual/unregistered): OIDAR (Online Information and Database Access or Retrieval). Foreign supplier must register under Simplified Registration Scheme. Pay IGST at 18% (or deduct via payment intermediary). Google/Meta/LinkedIn: already registered under Simplified Registration in India. They charge 18% IGST directly (shown on invoice to B2C). B2B recipients: may still get invoice WITH GST from Google (they charge directly). If Google India Pvt Ltd invoices you (not Google Ireland): Domestic supply — forward charge at 18%. ITC available (no RCM complication). Most large businesses: billed by Google India → simple 18% + ITC. Small businesses: may be billed by Google Asia Pacific (Singapore) → RCM. DIGITAL MARKETING AGENCY (Indian): Agency manages Google/Facebook campaigns for clients: Agency's service: 18% (digital marketing — SAC 998361). Media spend (Google/Facebook paid by agency on behalf of client): Pure agent: excluded from value (client reimburses separately — not taxable). Not pure agent: agency bills client at 18% on full amount (service + media). PURE AGENT FOR MEDIA BUYING: To qualify as pure agent (Rule 33): (1) Client authorizes agency to make payment to Google/Meta. (2) Payment is identified separately on invoice. (3) Agency doesn't use the ad service for itself. (4) Client is aware of exact media cost. If all conditions met: Agency bills: ₹50,000 (agency fee) + ₹2,00,000 (media — as pure agent). GST: 18% × ₹50,000 = ₹9,000. Media: client reimburses directly (or agency pays and passes through at cost). REALITY: Most agencies bill consolidated — 18% on total (simpler, avoid dispute). SEO / SEM / SMM: SEO services: 18% (IT/consulting service). SEM (search engine marketing): 18% (advertising service). SMM (social media marketing): 18% (advertising/consulting). Content marketing: 18%. Influencer marketing: 18%. Affiliate marketing: 18%. Performance marketing: 18%. All digital marketing services: 18% — NO exceptions.
Outdoor Advertising — 18% GST (Billboards, Hoardings, Transit)
OUTDOOR ADVERTISING (OOH) — 18%: Billboard/hoarding space rental: 18% (SAC 998362). Unipole advertising: 18%. Bus shelter advertising: 18%. Railway platform advertising: 18%. Airport advertising: 18%. Metro/subway advertising: 18%. Bus/auto wrap advertising: 18%. Cab branding (Ola/Uber): 18%. Lamppost banners: 18%. Flyover/bridge advertising: 18%. Highway advertising: 18%. Mall atrium advertising: 18%. ALL outdoor advertising: 18% (no reduced rate like print). CLASSIFICATION — ADVERTISING vs RENTAL: Hoarding space: Is it ADVERTISING (SAC 998362) or RENTAL OF IMMOVABLE PROPERTY (SAC 997212)? If site owner rents billboard structure to advertiser: Could be: rental of immovable property at 18%. OR: advertising space sale at 18%. Both are 18% — so rate doesn't change. But: classification matters for EXEMPTIONS. Rental to government: may have exemption. Advertising: no exemption. DOMINANT VIEW: Billboard advertising = sale of advertising space (998362 — 18%). Not: immovable property rental (different classification but same rate). MUNICIPAL / GOVERNMENT FEES: Municipal license fee for hoarding: NOT GST (tax/fee by government — outside GST). Property tax on hoarding structure: NOT GST (local tax). Permission charges: NOT supply (government sovereign function). But: if municipality SELLS advertising space (commercial): May be subject to GST (government commercial activity). Government's own business → 18% (if above ₹20L threshold). TRANSIT ADVERTISING: Advertising on buses (BMTC, DTC, etc.): 18%. Advertising in metro coaches: 18%. Advertising on railway tickets/platforms: 18%. Auto-rickshaw advertising (wrap): 18%. Taxi/Ola/Uber car branding: 18%. Delivery van branding (Swiggy, Zomato vehicles): 18%. Airport trolley advertising: 18%. ALL transit media: 18%. WHO PAYS? Advertiser (brand) → Media agency → Media owner (bus company/metro). Media owner charges: 18% to agency. Agency charges: 18% to advertiser (plus agency commission at 18%). Full ITC chain (if advertiser has taxable output). DIGITAL BILLBOARDS / LED SCREENS: LED screen advertising (Times Square-style): 18%. Programmatic DOOH (Digital Out-of-Home): 18%. Whether static or dynamic: same rate (18%). Whether print or digital: outdoor = 18% (unlike newspaper which is 5%).
TV, Radio & Cinema Advertising — 18% GST
TELEVISION ADVERTISING — 18%: TV ad slot (commercial): 18% (SAC 998361). Sponsored content on TV: 18%. Product placement in TV shows: 18%. Teleshopping: 18%. TV channel sponsorship (title sponsor): 18%. Sports event broadcasting rights (ad-related): 18%. Breaking news sponsorship: 18%. Ticker/scroll advertising: 18%. Channel packaging fee (carrying fee): 18%. ALL TV advertising: 18%. BROADCASTING vs ADVERTISING: TV channel earning AD REVENUE: Advertising service at 18%. TV channel earning SUBSCRIPTION (from cable operator): Broadcasting service at 18%. Both 18% — but different SAC codes. Ad revenue: SAC 998361 (advertising). Subscription: SAC 998432 (broadcasting). For ITC purposes: both give 18% credit to payer. RADIO ADVERTISING — 18%: FM radio ad spots: 18% (SAC 998361). Radio sponsorship: 18%. Radio contest sponsorship: 18%. Jingles (creation): 18% (creative service). RJ mention/integration: 18%. Community radio: if advertising income > threshold — same 18%. ALL India Radio (AIR — government): If AIR sells ad space: 18% (government doing commercial activity). Prasar Bharati (statutory body): charges 18% on commercial ads. CINEMA ADVERTISING — 18%: Cinema screen advertising (before film): 18% (SAC 998361). Slide/video ad in cinema hall: 18%. Cinema naming rights: 18%. Foyer/lobby advertising in multiplex: 18%. PVR/INOX branded content: 18%. On-screen product placement: 18%. ALL cinema advertising: 18%. CINEMA vs ENTERTAINMENT TAX: Earlier: entertainment tax on cinema tickets (state). Now: GST 12%/18% on tickets (₹100 or above = 18%, below ₹100 = 12%). Advertising in cinema: SEPARATE supply at 18%. Don't confuse: ticket GST (12/18%) vs ad GST (always 18%). PRODUCTION COST vs AD SPACE: Ad film production (making the commercial): 18% (production service). Ad space buying (placing the ad on TV/radio): 18% (advertising). Agency commission: 18%. Celebrity fee for ad: 18% (if service — see endorsement section). Music licensing for ad: 18%. Location rental for ad shoot: 18% (short-term rental). ALL components of advertising campaign: 18%. CONTENT CREATION FOR ADS: Video production: 18%. Photography: 18%. Copywriting: 18%. Graphic design: 18%. Voice-over: 18%. Animation/VFX: 18%. Post-production (editing): 18%. Music composition (for ad): 18%. All creative services: 18%.
Celebrity Endorsement & Sponsorship — 18% GST
CELEBRITY ENDORSEMENT — 18%: Brand endorsement by celebrity: 18% (SAC 999692 — recreational/entertainment service). Product endorsement fee: 18%. Brand ambassador contract: 18%. Social media influencer promotion: 18%. Sports person endorsement: 18%. Film star endorsement: 18%. Music artist endorsement: 18%. ALL celebrity/influencer endorsement: 18%. TDS UNDER GST (Section 51): Government department paying celebrity: 2% TDS on GST (1% CGST + 1% SGST). This is GST TDS — separate from income tax TDS (Section 194J — 10%). CELEBRITY AS SERVICE PROVIDER: Celebrity is providing SERVICE (brand endorsement). If celebrity registered under GST: charges 18% on fee. If celebrity turnover > ₹20 lakh: mandatory registration + 18%. Most celebrities: easily above ₹20 lakh → registered → charge 18%. ITC for brand (advertiser): fully available (advertising input). ATHLETE/SPORTSPERSON: IPL player endorsement: 18%. Olympic athlete endorsement: 18%. Cricket player (individual brand deal): 18%. Team sponsorship (IPL team): 18%. Jersey/kit branding: 18%. SPONSORSHIP — CORPORATE EVENTS: Title sponsorship of event: 18% (advertising service). Co-sponsorship: 18%. Venue naming rights: 18%. Award function sponsorship: 18%. Conference/seminar sponsorship: 18%. Sports event sponsorship: 18%. Music concert sponsorship: 18%. Sponsoring government event: Still 18% (not exempt — it's advertising service). BARTER / CONTRA DEALS: Brand provides product to influencer (instead of cash): This IS a supply (goods given for service received). Celebrity: provides endorsement service (value = product MRP or agreed value). Brand: supplies goods to celebrity (GST on deemed value). Both: must raise invoices (mutual supply). VALUATION: RM: Rule 27 — value of supply = open market value. If influencer receives: ₹50,000 worth of products for a post: Influencer's service value: ₹50,000 (or agreed higher value). GST: 18% × ₹50,000 = ₹9,000 (influencer's liability). Brand: GST on product supplied to influencer (as per product rate). INFLUENCER MARKETING: Micro-influencer (< ₹20L turnover): NO GST (below threshold). Macro-influencer (> ₹20L): 18% GST. Disclosure: ASCI guidelines require #Ad or #Sponsored (not GST-related but compliance). Platform: YouTube, Instagram, Twitter — doesn't affect GST rate. Affiliate links: 18% (performance-based advertising commission). FREE PRODUCTS (gifting for review): If no obligation to post/review: Gift — not taxable (no reciprocal supply). If obligation to review/promote: Barter — supply of service for supply of goods. GST: on both sides (product + service). Grey area: 'I'll send product, hoping for review but no contract'. Department view: if pattern shows regular gifting = supply expectation → may be treated as barter.
Advertising & Media — ITC, Compliance & Cross-Border
ADVERTISING AGENCY — ITC FRAMEWORK: Output: Advertising services at 18%. Available ITC: Media buying (newspapers): 5% → ITC ✓ (but lower rate — accumulation). Media buying (digital/outdoor): 18% → ITC ✓. Office rent: 18% → ITC ✓. Software subscriptions (Adobe, etc.): 18% → ITC ✓. Photography equipment: 18% → ITC ✓. Video equipment: 18% → ITC ✓. Freelancer services (design, writing): 18% → ITC ✓. Client entertainment: BLOCKED (Section 17(5) — food/beverages for entertainment). Gifts to clients (above ₹50,000): BLOCKED. Motor vehicles (vanity vans for shoots): BLOCKED (unless used for transportation of goods). INVERTED DUTY STRUCTURE (Print media): Agency output: 18% (advertising service). Agency input (newspaper ad space): 5%. This creates ITC ACCUMULATION (input credit rate < output rate). Refund available? YES — if accumulated ITC due to inverted duty structure (Section 54(3)). Formula: Maximum refund = (Turnover of inverted rated supply ÷ Adjusted total turnover) × Net ITC — Tax payable on inverted supply. This refund is complex but available for agencies with heavy print media buying. EXPORT OF ADVERTISING SERVICES: Indian agency serving foreign client (international brand): If service qualifies as EXPORT (Section 2(6) IGST Act): (1) Supplier in India ✓. (2) Recipient outside India ✓. (3) Place of supply outside India ✓ (Section 13 — B2B: recipient's location). (4) Payment in convertible foreign exchange ✓. (5) Not merely an establishment of supplier ✓. If ALL conditions met: ZERO-RATED (0% GST). Option 1: supply without payment of tax (LUT — Letter of Undertaking). Option 2: supply with IGST → claim refund. PRACTICAL — EXPORT COMPLICATIONS: Ad agency in Mumbai serves Nike USA for Indian market campaign: Place of supply: where the PERFORMANCE is — India? Or recipient's location — USA? Section 13(2) — B2B: recipient's location = USA. But Section 13(3)(a) — if service relates to goods made available by recipient: India (where goods/events are). For advertising: generally Section 13(2) applies → recipient's location → USA → EXPORT. Indian agency creating ad campaign for global brand (delivered globally): EXPORT — zero-rated. Indian agency placing ads in Indian media for foreign client: DEBATED — service consumed in India. Department may argue: Section 13(3) or 13(5) override. Safe: if payment is in forex from foreign entity + no India establishment → EXPORT. DIGITAL PLATFORM ADVERTISING (Special provisions): E-commerce operator provisions (Section 9(5)): Apply to specific notified services. Currently: restaurant services through platforms (Zomato/Swiggy). NOT advertising: platforms not liable for advertiser's GST. Each advertiser: responsible for own GST on their advertising service. Google/Meta (foreign): registered under Simplified Registration → charge IGST. COMPLIANCE — AD AGENCIES: E-invoicing: if turnover > ₹5 crore. HSN/SAC on invoice: SAC 998361 (advertising services). Time of supply: when invoice raised or payment received (earlier). Continuous supply: recognized at periodic billing intervals. Monthly retainer: supply on each billing date. Campaign-based: supply on invoice date or completion date. MEDIA COMMISSION — VALUATION: Agency earns commission from media (newspaper gives 15% commission): Is this consideration for supply FROM newspaper TO agency? Or: discount on purchase (reducing agency's cost)? If COMMISSION: separate taxable supply (agency → newspaper: service). If DISCOUNT: reduces taxable value (newspaper charges less to agency). Industry practice: treated as DISCOUNT (not separate supply). Agency's purchase: net of commission = taxable value. No separate GST on commission received (it's a trade discount).
Advertising & Media — GST Rate Table
| Item | HSN / SAC | GST Rate | Notes |
|---|---|---|---|
| Newspaper/magazine ad space | 998361 | 5% | Physical print media only |
| Digital advertising (Google, Meta) | 998361 | 18% | All online platforms |
| Billboard/hoarding advertising | 998362 | 18% | All outdoor media |
| TV advertising (commercials) | 998361 | 18% | All channels/platforms |
| Radio advertising | 998361 | 18% | FM/AM/online radio |
| Cinema advertising | 998361 | 18% | Pre-show ads in theatres |
| Celebrity endorsement | 999692 | 18% | All celebrity/influencer |
| Event sponsorship | 998361 | 18% | Title/co-sponsorship |
| Ad agency commission/fee | 998361 | 18% | Creative + media service |
| Social media marketing | 998361 | 18% | SMM/content marketing |
| SEO/SEM services | 998314 | 18% | IT/consulting classification |
| Ad film production | 999612 | 18% | Video/creative production |
Frequently Asked Questions
Our agency bills clients for media buying (Google Ads, newspaper space) plus agency fee. How should we structure GST billing?
We receive advertising services from Google (Ireland) and Meta (Ireland). What is the RCM treatment and how do we claim ITC?
How is GST applied on influencer marketing, barter deals, and sponsored content on social media?
What is the place of supply for advertising services when our agency serves clients across multiple states and countries?
Advertising & Media GST — Print vs Digital, Import RCM & Influencer
Laabam.One handles advertising GST: print 5% vs digital 18% optimization, pure agent media buying structure, Google/Meta RCM on import of services, influencer barter deal valuation, celebrity endorsement compliance, multi-state place of supply determination, and export of advertising services (zero-rated LUT).
Explore GST Law