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    <title>2010 (5) TMI 608 - PUNJAB AND HARYANA HIGH COURT</title>
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    <description>HC held that there is no legal bar to using Cenvat credit to discharge service tax liability on GTA services. The court affirmed that the recipient could pay service tax from Cenvat credit; the payment from credit fully satisfied the obligation. The Commissioner (Appeals) and the Tribunal were upheld in finding that the taxpayers were entitled to utilize Cenvat credit for GTA service tax payment, and the respondents&#039; use of credit to meet the service tax was lawful.</description>
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      <link>https://www.taxtmi.com/caselaws?id=207889</link>
      <description>HC held that there is no legal bar to using Cenvat credit to discharge service tax liability on GTA services. The court affirmed that the recipient could pay service tax from Cenvat credit; the payment from credit fully satisfied the obligation. The Commissioner (Appeals) and the Tribunal were upheld in finding that the taxpayers were entitled to utilize Cenvat credit for GTA service tax payment, and the respondents&#039; use of credit to meet the service tax was lawful.</description>
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      <pubDate>Thu, 06 May 2010 00:00:00 +0530</pubDate>
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