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    <title>2022 (6) TMI 1042 - CESTAT AHMEDABAD</title>
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    <description>The tribunal ruled in favor of the appellants, finding that they were not liable to pay service tax on various services including banking and financial services, business auxiliary services, legal consultancy services, supply of tangible goods services, technical testing and analysis services, cargo handling services, general insurance services, and information technology software services. The tribunal set aside the tax demands, citing reasons such as services being consumed outside India and lack of evidence supporting the tax liabilities. The appeals were allowed, and consequential relief was granted to the appellants.</description>
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      <description>The tribunal ruled in favor of the appellants, finding that they were not liable to pay service tax on various services including banking and financial services, business auxiliary services, legal consultancy services, supply of tangible goods services, technical testing and analysis services, cargo handling services, general insurance services, and information technology software services. The tribunal set aside the tax demands, citing reasons such as services being consumed outside India and lack of evidence supporting the tax liabilities. The appeals were allowed, and consequential relief was granted to the appellants.</description>
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