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    <title>2015 (1) TMI 290 - CESTAT BANGALORE</title>
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    <description>Incentive amounts received from print media were treated as not forming taxable consideration for advertisement agency services, as the Tribunal applied its earlier precedent on similar facts and accepted the appellant&#039;s reliance on that decision. The Tribunal held that the disputed incentive receipts were not exigible to service tax on that basis. Consequentially, it granted waiver of pre-deposit and ordered stay of recovery of the disputed amount during pendency of the appeal.</description>
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      <description>Incentive amounts received from print media were treated as not forming taxable consideration for advertisement agency services, as the Tribunal applied its earlier precedent on similar facts and accepted the appellant&#039;s reliance on that decision. The Tribunal held that the disputed incentive receipts were not exigible to service tax on that basis. Consequentially, it granted waiver of pre-deposit and ordered stay of recovery of the disputed amount during pendency of the appeal.</description>
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