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2008 (8) TMI 88 - CESTAT, NEW DELHIWhether recipient of the taxable service, namely GTA service, is entitled to utilize cenvat credit for paying service tax on an ‘output service’ - As per explanation to rule 2(p) of CCR, service for which he was liable to service tax must be treated to be an ‘output service’, & that being the legal position, the appellant was entitled to utilize the cenvat credit for payment of service tax on such service – assessee’s appeal is allowed
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