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2019 (3) TMI 1226 - HC - Service TaxDemand of Interest - taxability - advertising agency services carried on by the appellant - period upto 31.3.2003 - Held that:- The matter should be considered by the CCE(A) as regards the contentions raised by the assessee in respect of taxability of the services - If the CCE(A) comes to the conclusion that the services during the relevant period were not taxable, then the assessee is entitled to a partial relief from the demand of differential interest, which was remitted by them under protest on 06.10.2008/07.10.2008. The matter is remanded to the CCE(A) to consider the issue regarding taxability of service for the relevant period - Appeal allowed by way of remand.
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