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2008 (3) TMI 295 - AT - Service TaxApplication for waiver of pre-deposit of the service tax and penalty - Demand confirmed on ground that the applicant is providing service of C/F agent - contention is that the applicants are paying service tax on the commission received by them - case of the Revenue is that the expenses in respect of service provided by them are not added while calculating service tax liability – in view of tribunal’s decision in applicant’s own case, the present applicant is directed to deposit 50% of the tax
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