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    <title>2015 (12) TMI 149 - CESTAT AHMEDABAD</title>
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    <description>The Appellate Tribunal CESTAT AHMEDABAD allowed the appellant&#039;s application for waiver of pre-deposit of a confirmed differential service tax liability. The Tribunal found that the adjudicating authority&#039;s order was misdirected as the appellant&#039;s services to M/s. ONGC were distinct from services provided by third-party service providers directly paid by ONGC. Consequently, the charges paid by ONGC to third-party service providers were not part of the appellant&#039;s services to ONGC. The Tribunal granted the waiver and stayed the recovery until the final disposal of the appeal, emphasizing the importance of accurate assessment of service tax liabilities to prevent undue financial burdens on taxpayers.</description>
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    <pubDate>Wed, 25 Jun 2014 00:00:00 +0530</pubDate>
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      <title>2015 (12) TMI 149 - CESTAT AHMEDABAD</title>
      <link>https://www.taxtmi.com/caselaws?id=268845</link>
      <description>The Appellate Tribunal CESTAT AHMEDABAD allowed the appellant&#039;s application for waiver of pre-deposit of a confirmed differential service tax liability. The Tribunal found that the adjudicating authority&#039;s order was misdirected as the appellant&#039;s services to M/s. ONGC were distinct from services provided by third-party service providers directly paid by ONGC. Consequently, the charges paid by ONGC to third-party service providers were not part of the appellant&#039;s services to ONGC. The Tribunal granted the waiver and stayed the recovery until the final disposal of the appeal, emphasizing the importance of accurate assessment of service tax liabilities to prevent undue financial burdens on taxpayers.</description>
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      <pubDate>Wed, 25 Jun 2014 00:00:00 +0530</pubDate>
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