2013 (2) TMI 583
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....Shri Navneet, Addl. Comm.(AR) Per: P.R. Chandrasekharan: 1. The appeal is directed against Order-in-Appeal No. P-I/VSK/67/2010 dated 23/04/2010 passed by Commissioner of Central Excise & Customs (Appeals), Pune. 2. The appellant, M/s. Syntel International Pvt. Ltd. is engaged in providing renting of immovable property services, Customized Software Development Services, etc. They are also ....
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....ad discharged service tax liability on reverse charge basis under business auxiliary service. The authority also rejected the refund claim of service tax credit on garden maintenance charges, gas filling and servicing charges, lightning toran for Navratri festival. The appellant preferred an appeal before the lower appellate authority, who held that garden maintenance services, gas filling and ser....
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....s between these services and the output services rendered. However, with respect to the marketing fees, she submits that they had engaged Syntel Inc., USA, (which is a company registered in USA) to market/sell software services developed by the appellant. For this service received, they had paid consideration to the foreign service provider and on reverse charge basis, they had discharged service ....
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....been taken on record. 6. We have carefully considered the submissions made by both the sides. We have also perused the agreement relating to marketing fees. As per the "Business Associates Agreement" entered into by the appellant with Syntel Inc., USA has agreed to provide marketing services in relation to software services developed by Syntel International Pvt. Ltd., India and Syntel Inc., USA....
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