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    <title>2009 (6) TMI 882 - CESTAT CHENNAI</title>
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    <description>Service tax credit on GTA services was treated as prima facie admissible where the appellant had paid the tax as recipient of the service and the supporting transport documents contained the relevant particulars for each credit entry. The objection was only technical, namely that the prescribed documents were not produced in the stated form. On that basis, the appellant established a case for interim relief, and waiver of the adjudged dues was granted with recovery stayed pending disposal of the appeal.</description>
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      <title>2009 (6) TMI 882 - CESTAT CHENNAI</title>
      <link>https://www.taxtmi.com/caselaws?id=139048</link>
      <description>Service tax credit on GTA services was treated as prima facie admissible where the appellant had paid the tax as recipient of the service and the supporting transport documents contained the relevant particulars for each credit entry. The objection was only technical, namely that the prescribed documents were not produced in the stated form. On that basis, the appellant established a case for interim relief, and waiver of the adjudged dues was granted with recovery stayed pending disposal of the appeal.</description>
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