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<h1>Commercial training or coaching: non-profit institutes may attract service tax on fees despite charitable status.</h1> A tribunal found that an institute recognized as charitable, with education as its primary non profit object, did not provide a commercial activity and thus its training was not commercial. The revenue board issued a circular asserting that the term commercial training or coaching refers to the activity, not the provider's profit motive, and that service tax is chargeable on the gross amount received for services irrespective of charitable or non profit status, creating a conflict pending apex court resolution.