DYKS 341
|
Laying of Pipelines is Not Subject to Service Tax Levy |
DYKS 340
|
Transactions in Lottery Tickets are Not Liable to Service Tax |
DYKS 339
|
Amendment in Rule 5A(2) of Service Tax Rules, 1994 (Power of making demand of financial records from assessee |
DYKS 337
|
PVC/HDPE Tubes or Pipes are eligible for Capital Goods |
DYKS 335
|
Refund claim of amount wrongly paid as Service Tax – Period of Limitation |
DYKS 333
|
Adverse Position for Assessees in Respect of Cenvat Credit on Invoices Older than 6 Months |
DYKS 331
|
Due Date for filing ST-3 extended to 14th November, 2014 |
DYKS 330
|
Bank has preferential rights to recover its dues under SARFAESI Act over dues of Excise Department |
DYKS 329
|
Service Tax on activities related to Inward Remittance |
DYKS 328
|
No fees required under section 86(6) for filing appeal in refund_rebate cases before CESTAT |
DYKS 327
|
Department Clarified Position of Audit by Department Official under Excise and Service Tax |
DYKS 326
|
Important Changes in Service Tax Applicable w.e.f. 1st October, 2014 |
DYKS 325
|
E-payment Compulsory for All Service Tax Assessees from October 2014 |
DYKS 324
|
Pre-deposit of Service tax can be made through CENVAT Credit |
DYKS 323
|
Clarification on Pre-deposit of amount in relation to Appeals in Service Tax |
DYKS 322
|
CENVAT Credit on Towers |
DYKS 321
|
Amendments in Negative List applicable w.e.f. 1st October, 2014 |
DYKS 320
|
Rule notified for Determination of Foreign Exchange Conversion Rate |
DYKS 319
|
Appeal cannot be dismissed due to Unauthorised Signature |
DYKS 318
|
CENVAT Credit available to service recipient even if Service Provider has not discharged its Service Tax Liability |
DYKS 317
|
CENVAT Credit GTA Services (What would be the Place of Removal of Goods |
DYKS 316
|
Assent of President to Finance Bill (No. 2) 2014 |
DYKS 315
|
Conversion Rate for Foreign Exchange w. e. f. 18th July 2014 |
DYKS 314
|
Union Budget 2014-15 |
DYKS 313
|
Benefit of Amnesty Scheme cannot be denied if the declaration does not bear reference to subject matter in dispute |