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2015 (9) TMI 1332 - AT - Service TaxWaiver of pre deposit - associated enterprises - payment of service tax on the basis of debit / credit entries in the accounts - appellant contended that, the amendment carried out in Section 67 of Finance Act, 1994 cannot be taken to mean that service tax will have to be paid on the amount shown as outstanding from association enterprises - Held that:- Court is in full agreement with the order of the Tribunal in [2014 (7) TMI 410 - CESTAT NEW DELHI] - Pre deposit waived.
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