Friday, 8 February 2013

NO TDS ON PAYMENT MADE TO NOVATEL


S. 9(1)(vii): Income deemed to accrue or arise in India –Fees for technical services-Payment towards voice charges – Services neither managerial, technical or consultancy nature – Hence, no fees for technical services. (S. 40(a)(ia), 195)
Where assessee engaged in business of IT enabled services, made payments to Novatel, a U.S. company, towards voice charges, income of Novatel was in form of service charges payment and Novatel had not rendered services of managerial, technical or consultancy nature hence the assessee had no obligation to to deduct tax at source from payment made, to Novatel, therefore disallowance cannot be made. (AY 2008-09

No comments:

Kolkata ITAT holds Husband's HUF not falling in the definition of ‘Relative’ of a Wife for gift-tax purposes under Income-tax

  Kolkata Tribunal has recently ruled that HUFs cannot be treated as “relatives” under the gift-tax provisions of the Income-tax Act, thereb...