Circular No. 1057/06/2017-CX
F. No. 116/23/2015-CX.3
Government of India
Ministry of Finance
Department of Revenue
Central Board of Excise and Customs

New Delhi, dated the 7
th
July, 2017


To
The Principal Chief Commissioners/ Chief Commissioners/Principal Commissioners of
Central Tax & Central Excise (All)


Madam/ Sir,
Sub: Classification of Printed Workbooks, Exercise books etc. under erstwhile CETA
1985-reg.
Representations have been received from the members of the trade requesting
clarification regarding classification of printed workbooks, exercise books, children’s
drawing book etc. The issue raised in these representations is whether the aforesaid goods are
classifiable under Chapter 48 or Chapter 49 of the erstwhile Central Excise Tariff Act
(CETA), 1985. Issue was also litigated before the Hon’ble High Court of Delhi. The Hon’ble
High Court directed Board to examine the matter and pass appropriate order at its earliest
convenience.
2. The issue has been examined. Exercise Books have been explained in HSN under
explanatory note (2) to Heading 48.20 as, “These may simply contain sheets of lined paper
but may also include printed examples of handwriting for copying in manuscript”. Such
exercise Books are specifically classified under heading 4820 of the erstwhile CETA, 1985.
These are nothing but stationary items having blank pages with lines for writing and may also
include printed texts for copying manually. In common parlance they are more akin to
handwriting “note books” for practicing rather than “work books” containing printed
exercise. This definition of Exercise Books is in harmony with other items specified under
Chapter Heading 4820 of erstwhile CETA, 1985 such as registers, note books, diaries, letter
pads etc. where printing is incidental to their primary use i.e. writing. The fact that printing
is incidental to their primary use is the guiding principle for classification of Exercise
Books under heading 4820 of erstwhile CETA, 1985.
3. Printed work books on the other hand are books where printing is not merely incidental
to the primary use. HSN Explanatory notes (A) to the heading 49.01 reads as, “Books and
booklets consisting essentially of textual matter of any kind, and printed in any language or
characters…include…textbooks (including educational workbooks sometimes called writing
books), with or without narrative texts, which contains questions or exercises (usually with

spaces for completion in manuscript)….” Thus, printed work books containing questions
followed by spaces for writing or other exercises would fall within the scope of Chapter 49.
The said goods are different from Exercise Books falling under Chapter 48 which are
stationary items with blank pages with lines for writing and some time may also include
printed texts for copying manually, as explained in the preceding para. Further, since printing
in case of printed workbooks is not merely incidental to the primary use of the goods, such
goods are classifiable under Chapter 49, in terms of chapter note 12 to chapter 48 of erstwhile
CETA, 1985.
4. Similarly, HSN Chapter note (6) to Chapter 49 read with HSN explanatory note under
heading 49.03 covers children’s workbooks consisting essentially of pictures with
complementary texts, for writing or other exercises, and children’s drawing or colouring
books, provided the pictures form the principal interest and are not subsidiary to the text.
Thus, children’s drawing books which are in harmony with said HSN Chapter note (6)
and HSN Explanatory note to heading 4903 would fall under Chapter 49.
5. Past cases may be decided in terms of instructions issued as above. Difficulty faced, if
any, in implementing the circular should be brought to the notice of the Board. Hindi version
will follow.



(ROHAN)
Under Secretary to the Government of India
circulars no 1057 06 2017 cx | iKargos