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2008 (10) TMI 25 - AT - Service TaxDemand is confirmed on the ground that the appellants received consulting engineering service from outside India - held that taxable service provided by a non-resident or is from outside India, who does not have any office in India, having been specified as taxable service with effect from 1.1.2005, under Notification No. 36/2004, recipient of such service could not be held liable for paying Service Tax prior to 1.1.2005
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