could be in the form of cash,
goods or services and non monetary consideration is determined
under the 2006 Rules. Thus, since the franchisee, apart ... Rules
under which the value of non-monetary consideration was
determined had been stuck down by the Delhi High Court in
Intercontinental Consultants
consumption"
contemplated under the Agreements cannot be considered
as a non-monetary consideration for the services of
regasification and thereby leviable to service ... Appellant
from the customers for regasification of LNG is a non-monetary
consideration for providing a taxable service and so its value has to
form
using
the facility provided under the Scheme cannot be treated as non-
monetary consideration flowing from the employees to the
employers; he relies on Carrier ... Learned Counsel submits, without prejudice to the above
submissions, that non-monetary consideration was not taxable prior
to 18.04.2006; it was only after the amendment
non-monetary
consideration from the developer for contributing his land to the
project. Monetary consideration can be a share in the sale
22
consideration ... non-
monetary consideration from the developer for contributing his
land to the project. Monetary consideration can be a share in the
sale consideration
non-monetary
consideration from the developer for contributing his land to the
project. Monetary consideration can be a share in the sale
22
consideration ... non-
monetary consideration from the developer for contributing his
land to the project. Monetary consideration can be a share in the
sale consideration
non-monetary
consideration from the developer for contributing his land to the
project. Monetary consideration can be a share in the sale
22
consideration ... non-
monetary consideration from the developer for contributing his
land to the project. Monetary consideration can be a share in the
sale consideration
provider of the taxable construction service, being neither
monetary or non-monetary consideration paid by or flowing from the
service recipient, accruing to the benefit ... service
recipient to a provider of taxable service, being neither monetary or non-
monetary consideration paid by or flowing from the service recipient,
accruing
provider of the taxable construction service, being neither
monetary or non-monetary consideration paid by or flowing from the
service recipient, accruing to the benefit ... service
recipient to a provider of taxable service, being neither monetary or non-
monetary consideration paid by or flowing from the service recipient,
accruing
provider of the taxable construction service, being neither
monetary or non-monetary consideration paid by or flowing from the
service recipient, accruing to the benefit ... service
recipient to a provider of taxable service, being neither monetary or non-
monetary consideration paid by or flowing from the service recipient,
accruing
following was recorded: -
"Further, the consideration can be of two types viz., monetary
consideration and non-monetary consideration. In the present
case, the Assessee ... been made to prove that the
Assessee received either monetary or non-monetary consideration
in any form. It is not alleged or proved