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2016 (3) TMI 621 - AT - Service TaxWaiver of pre-deposit - Renting of immovable Property Service from 19.4.2008 to 30.7.2010 - Premium received for leasing the property for continuous enjoyment - Held that:- appellant was not a part of the lease agreement and was also not the provider of the impugned service. Though the service was rendered by State Government and not by the appellant, the appellant has fairly made a good case in its favour but not entirely so. Therefore, make pre-deposit of 7.5% of the impugned service tax liability. - stay granted partly.
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