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2013 (5) TMI 803

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..... in both stay applications should be directed to make pre-deposit as contributory to the loss of revenue because the appellant manufacturer had used the false and fabricated cenvatable invoices issued by the appellant. - Decided against assessee. - Excise Stay Application No.55888 of 2013 & 56432/2013 in Appeals Nos. E/55654 & 56006/2013 - - - Dated:- 21-5-2013 - Shri D. N. Panda And Shri Rakes .....

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..... s. We have noticed from the table at page 12 of the appeal folder in appeal case no.55654 of 2013 that the appellant had made supply of the goods through cenvatable invoices to the extent of 11% to 58% and the peak thereof was nearly 30% in respect of fabricated documents. When the peak supply in average is 30%, the appellant in both stay applications should be directed to make pre-deposit as cont .....

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