2015 (9) TMI 733
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....ct, 1994 was also imposed. The said demand has been confirmed under two services : (i) Leased circuit service Section 65(60)/(105)(zd) of the Finance Act, 1994 - Rs. 1,01,82,467/-. (ii) Business Auxiliary service 65(19) /(105)(zzb) ibid - Rs. 74,27,181/-. The adjudicating authority has held that the appellant had leased dark fibre cables but did not pay service tax under the leased circuit service. Similarly, it leased towers space on its microwave towers for installation of equipment of various cellular telephone operators which was held to be covered under Business Auxiliary Service on which no service tax was paid. The Commissioner also held that the appellant was guilty of suppression of facts inasmuch as it never disclosed rendition....
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....under telecommunication service. (viii) There was no wilful mis-statement or suppression of facts on its part. 3. The ld. DR on the other hand stated that the services are covered under the respective (two) taxable services and the extended period is invokable because in spite of there being no ambiguity and the appellant being duly registered under leased circuit service, it did not pay service tax on dark fibre and did not timely provide the data in spite of repeated reminders. 4. We have considered the contentions of both sides. As regards the leasing of space on microwave towers is concerned, the adjudicating authority has confirmed the demand by observing as under : "M/s Rail Tel were also providing space in their Microwave To....
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....communication service. It, however, has stated that prior to 1.6.2007 service would be classifiable under Business Auxiliary Service (BAS). The definition of BAS given in Section 65(19) of the Finance Act, 1994 is reproduced below : "Business Auxiliary Service" means any service in relation to, (i) promotion or marketing or sale of goods produced or provided by or belonging to the client; or (ii) promotion or marketing of service provided by the client; or (iii) any customer care service provided on behalf of the client; or (iv) procurement of goods or services, which are inputs for the client; or (Explanation: for the removal of doubts, it is hereby declared that for the purposes of this sub-clause inputs" means all goods or services....
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....hat the appellant had leased dark fibre cables. The leased circuit is defined under Section 65(60) of the Finance Act, 1994 is as under :- "Leased Circuit" means a dedicated link provided between two fixed locations for exclusive use of the subscriber and includes a speech circuit, a data circuit or a telegraph circuit." Subscriber is defined under Section 65(104) ibid is as under : "Subscriber" means a person to whom any service of a telephone connection or a facsimile (FAX) or a leased circuit or a pager or a telegraph or a telex has been provided by the telegraph authority." Thus, it is evident that any person to whom the service of leased circuit is rendered gets covered under the scope of definition of subscriber provided suc....