My client is providing service to SEZ unit which is a stand alone unit operating only in the SEZ unit and now the confusion is whether the
SEZ unit needs to obtain the FORM A-1 as per the notification 17/2011, mentioned in point 2 (c) to obtain the benefit of exemption
under the said notification and after that the service provider will take that form and will not charge service tax on there billing to SEZ unit
or there is no need to give the Form A-1 by such SEZ unit ?
TaxTMI