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2015 (6) TMI 473

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....s been filed by M/s.Thirumurugan Enterprises, challenging the order in original No.123/2014, dated 20.11.2014 passed by the Additional Commissioner demanding a sum of Rs. 22,60,399/- towards service tax including Education Cess and Higher Education Cess for the year 2008-09 to 2011-12 under section 73(2) of the Finance Act and ordering recovery of appropriate interest on the above said amount unde....

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.... 9869/=, Rs. 13,71,852/= on 1.12.2014, 12.12.2014 and 27.12.2014 respectively were paid by way of cash through State Bank of India. Besides the petitioner has paid Rs. 9,70,000/= on 27.12.2014 towards interest and another sum of Rs. 14,57,464/= towards service tax by selling the ancestral property and jewels of the wife of the deponent. These facts would go to show that the petitioner is not dispu....

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....inclined to accept the contention made by the learned counsel for the respondent, for, it is not in dispute that the petitioner admitting their tax liability, has also paid a sum of Rs. 14,57,464/= towards service tax and Rs. 9,70,000/= towards interest. Therefore the request made by them in their application dated 03.11.2014 to permit them to approach the Settlement Commissioner could have been c....