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2004 (5) TMI 57 - AUTHORITY FOR ADVANCE RULINGS
Applicant who had business of providing software solutions for the telecom industry entered into a agreements with non-resident entities for securing business from outside India - a letter of the CIT, on record, proves that no income arises to the said foreign agents in India – therefore, there may not be any need to deduct tax at source u/s 195 in respect of payments made to them by way of Commission on export earnings and Retainer fees