Charges Paid for Services Rendered by FTOs Cannot be Taxed under Head Business Auxiliary Service: CESTAT sets aside Demand Against Vodafone Essar Ltd [Read Order]
The Tribunal observed that the Appellant made the payment of roaming charges to FTOs for providing connectivity services to their subscribers when they are abroad and the service is rightly classifiable under ‘Telecommunication Service’.
In the case of Vodafone Essar East Limited, the Kolkata bench of the Customs, Excise & Service Tax Appellate Tribunal(CESTAT) has held that charges paid for service rendered by FTOs cannot be taxed under head business auxiliary service and set aside the demand of service tax. The Tribunal observed that the Appellant made the payment…
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