2013 (6) TMI 510
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....d both sides on the stay petition. 2. The appellant is a manufacturer of paints and has also undertaken painting activities in respect of commercial and non-commercial buildings. The activities relating to painting on commercial buildings have been treated as taxable service and activities of painting on non-commercials have been treated as nontaxable service. In view of the above, it was held ....
TaxTMI