The court said that the sale of lottery tickets by the state is a privileged activity by itself and is not rendering of a service as it does not involve the activity of promotion or marketing of a service and is thus not susceptible to service tax
The court said that the sale of lottery tickets by the state is a privileged activity by itself and is not rendering of a service as it does not involve the activity of promotion or marketing of a service and is thus not susceptible to service tax