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2015 (12) TMI 1216

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..... hat agent was compensated by way of payment from India. The compensation for service being provided that shall be taxed and liable on reverse charge mechanism. - Held that:- Perusal of the MOU between the parties, prima facie, throws light there is absence of the principal and agent relationship. The shipping document also showed that there was a sale of the goods from India which was in the cours .....

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..... the purpose of sale and the importer abroad is compensated to that extent. It is an understanding between the parties that whenever discount is to be provided that is to be reimbursed by the appellant since the margin is already fixed which otherwise would result in deduction of the margin. Similarly, whenever expenses are incurred for the promotional sale, those expenses are also reimbursed by th .....

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..... e 5 of Service Tax Rules, 2006 ultra vires. 2. On the other hand Revenues contention is that the party abroad being an agent of the appellant the service provided by that agent was compensated by way of payment from India. The compensation for service being provided that shall be taxed and liable on reverse charge mechanism. 3. Heard both sides and perused the records. 4. Perusal of the MOU bet .....

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