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2018 (9) TMI 1072 - CESTAT CHENNAIWorks Contracts Services - appellant ought to have paid service tax under “Commercial or Industrial Construction Services” from the period 10.09.2004 to 31.05.2007 and that they were not discharging the service tax liability - Held that:- The period involved in the case is from 10.09.2004 to 31.05.2007. That the issue being a works contract whether subject to service tax prior to 1.6.2007 has been settled by the judgment of the Hon’ble Supreme Court in the case of Commissioner Vs. Larsen & Toubro Ltd. [2015 (8) TMI 749 - SUPREME COURT] - appeal allowed - decided in favor of appellant.
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