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2016 (5) TMI 1077 - AT - Service TaxEntitlement to the credit of service tax paid on Outdoor Catering Services and Staff Transport Services - Held that:- Since both the services on which cenvat credit has been denied by the impugned order are held to be input services by decisions of various High Courts, therefore in view of the settled position of law both the services i.e. Outdoor Catering service as well as Staff Transport Service fall in the definition of "input service" and the credit taken by the appellant has wrongly been denied by the respondent. See CCE Vs. Ultratech Cement Ltd [2010 (10) TMI 13 - BOMBAY HIGH COURT]
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