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        The key points are: Appropriation of Rs. 11,00,000 deposited under protest during investigation cannot be considered as acceptance of liability. The extended period of limitation u/s 73(1) of the Finance Act cannot be invoked as the department failed to substantiate that the appellant suppressed material facts with an intent to evade service tax payment. The Supreme Court and Delhi High Court have held that for invoking extended limitation, suppression of facts must be willful with intent to evade tax. The burden of proving willful suppression lies on the department. Mere non-payment or short payment does not constitute suppression unless there is a deliberate act to evade tax with intent. The Tribunal dismissed the department's appeal against the Commissioner's order holding that extended limitation cannot be invoked in this case.

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