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2008 (4) TMI 35 - AAR - Income TaxThe applicant is conducting and offering three certification programmes, namely, CPIM, CIRM and CSCP and other activities like corporate training, open public training, management consultancy, publishing and trading in educational material, etc under an agreement with a foreign non-profit company - The question raised about applicability of TDS on on examiniation fees remitted - Since the applicant can not be deemed permanent establishment (P/E), not required to deduct TDS on fees so remitted.
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