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    <title>2009 (1) TMI 740 - CESTAT BANGALORE</title>
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    <description>In a stay application concerning service tax on consulting engineering services, the tribunal found a strong prima facie case for the assessee. Amounts linked to sub-consultants were treated as already tax-paid, and receipts attributable to survey, map making and exports were treated as non-taxable for stay purposes. The taxable value was therefore substantially lower than the demand, and the tax and interest already paid were verified as correct by the department. On that basis, full waiver of the balance pre-deposit and recovery was granted pending disposal of the appeal.</description>
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      <title>2009 (1) TMI 740 - CESTAT BANGALORE</title>
      <link>https://www.taxtmi.com/caselaws?id=128549</link>
      <description>In a stay application concerning service tax on consulting engineering services, the tribunal found a strong prima facie case for the assessee. Amounts linked to sub-consultants were treated as already tax-paid, and receipts attributable to survey, map making and exports were treated as non-taxable for stay purposes. The taxable value was therefore substantially lower than the demand, and the tax and interest already paid were verified as correct by the department. On that basis, full waiver of the balance pre-deposit and recovery was granted pending disposal of the appeal.</description>
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      <pubDate>Thu, 15 Jan 2009 00:00:00 +0530</pubDate>
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