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    <title>2009 (10) TMI 96 - CESTAT, KOLKATA</title>
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    <description>In a service tax dispute involving scientific and technical consultancy services, total waiver of pre-deposit was not considered justified on a prima facie review of the activities and the findings in the impugned order. As the appellant had already made part payment, further deposit was directed as a condition for proceeding with the appeal. The balance demand was kept in abeyance pending disposal of the appeal, so recovery was stayed only to that extent and not by way of complete waiver.</description>
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      <link>https://www.taxtmi.com/caselaws?id=75213</link>
      <description>In a service tax dispute involving scientific and technical consultancy services, total waiver of pre-deposit was not considered justified on a prima facie review of the activities and the findings in the impugned order. As the appellant had already made part payment, further deposit was directed as a condition for proceeding with the appeal. The balance demand was kept in abeyance pending disposal of the appeal, so recovery was stayed only to that extent and not by way of complete waiver.</description>
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      <pubDate>Thu, 15 Oct 2009 00:00:00 +0530</pubDate>
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