The Appellants are engaged in the business of supplying Fire Safety Equipment to various commercial buildings. They supplied these equipments. The erection and commissioning of the same was also taken up under a single consolidated contract. They did not pay any Service Tax during the period October 2007 to May 2007, since works contract was not exigible to Service Tax. They applied for Service Tax Registration on 14/12/2007 for providing "fire security services". However, their Registration under ST-2 was issued as "Security Agency Service".
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