<?xml version="1.0" encoding="UTF-8"?>
<?xml-stylesheet type="text/xsl" href="https://www.taxtmi.com/rss_sitemap/rss_feed_blog.xsl?v=1750492856"?>
<rss version="2.0" xmlns:atom="http://www.w3.org/2005/Atom">
  <channel>
    <title>2002 (12) TMI 441 - CEGAT, KOLKATA</title>
    <link>https://www.taxtmi.com/caselaws?id=107250</link>
    <description>The appeal regarding service tax liability on services provided to customers from July 1994 to September 1998 was remanded to the original adjudicating authority for a fresh decision. The appellants were granted the opportunity to address the disputed issues, including the contention that service tax should only be levied on amounts actually received by the service provider. The matter was disposed of with the emphasis on the appellants&#039; right to present their case at the original level.</description>
    <language>en-us</language>
    <pubDate>Wed, 11 Dec 2002 00:00:00 +0530</pubDate>
    <lastBuildDate>Mon, 19 Mar 2012 18:32:51 +0530</lastBuildDate>
    <generator>TaxTMI RSS Generator</generator>
    <atom:link href="https://www.taxtmi.com/rss_feed_blog?id=144267" rel="self" type="application/rss+xml"/>
    <item>
      <title>2002 (12) TMI 441 - CEGAT, KOLKATA</title>
      <link>https://www.taxtmi.com/caselaws?id=107250</link>
      <description>The appeal regarding service tax liability on services provided to customers from July 1994 to September 1998 was remanded to the original adjudicating authority for a fresh decision. The appellants were granted the opportunity to address the disputed issues, including the contention that service tax should only be levied on amounts actually received by the service provider. The matter was disposed of with the emphasis on the appellants&#039; right to present their case at the original level.</description>
      <category>Case-Laws</category>
      <law>Service Tax</law>
      <pubDate>Wed, 11 Dec 2002 00:00:00 +0530</pubDate>
      <guid isPermaLink="true">https://www.taxtmi.com/caselaws?id=107250</guid>
    </item>
  </channel>
</rss>