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2026 (7) TMI 1538

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....st the appellant. The allegations against the appellant is that he has not paid the service tax under the Reverse Charge Mechanism on Royalty paid to the Government. The plea taken by the appellant is that they had entered into the Mining Lease Agreement prior to 01.04.2016 at the time when such services were not liable to tax and therefore, they are entitled to the benefit as provided in the provisions of section 66D of the Finance Act, 1994. However, we find that the Mining Lease Agreements were neither placed before the adjudicating authority nor before the first appellate authority and in that view the matter needs to be remanded back to consider the lease agreements and decide the issue inconformity with the decisions as referred to by....

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....reverse charge basis against the receipt of service concerning grant of mining rights. 14. The contention of the learned counsel for the appellant is that the demand is not sustainable as the service was received prior to 01.04.2016, when such services from the Government were not subject to tax. 15. The charging provision prescribing levy of tax is section 66B of the Finance Act and it is as follows: "66B. There shall be levied a tax (hereinafter referred to as the service tax) at the rate of fourteen percent on the value of all services, other than those services specified in the negative list, provided or agreed to be provided in the taxable territory by one person to another and collected in such manner as may....