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2016 (3) TMI 1314

Demand of service tax - Computer Network services - Online Information services - technical consultancy charges recovered by them for software development - Held that:- The said services became taxable w.e.f. 15-05-2008 and for the period being prior .....

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and stands confirmed against the appellant on the finding that lease line connectivity provided by them is liable to service tax under the category of Computer Network and Online Information and refilling of cartridges would get covered under the cat .....

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otice. We are informed by the ld. Advocate that the earlier show cause notice culminated into an order passed by the Original Adjudicating Authority and an appeal their against stands decided by the Tribunal. By drawing our attention to the earlier o .....

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and Retrieval Services so as to levy the same to service tax. Similarly in the case of Cartridge Refilling, it stands held that the said activity is in the nature of sale and no demand can be confirmed in respect of the same. In case of technical sup .....

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appellant s own has held in their favour, we find no merits in the impugned orders. Accordingly, the same are set aside. 5. However, the ld. Advocate submits that there is a demand to the extent of ₹ 7, 454/-, which stands confirmed on the gro .....

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