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Appellant's Tax Payment Under Mining Services from 2007 Shows No Intent to Evade Tax in Testing Services.
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....We really fail to understand that if the appellant started paying a tax under the category of mining services w.e.f. 1.6.2007, how the said action of the assessee would reflect upon their malafide or any suppression or mis-statement of facts with an intent to evade payment of tax, during the relevant period under the category of ‘Technical Testing and Analysis’ - AT....
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