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Query Regarding TDS on Office Utility Expenses, Income Tax |
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Query Regarding TDS on Office Utility Expenses |
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I had a quick question regarding TDS applicability. Are we required to deduct TDS on the following expenses incurred for office use?
If TDS needs to be deducted then under which section should TDS be deducted S Ram Posts / Replies Showing Replies 1 to 4 of 4 Records Page: 1
Great question — and it’s a practical one many businesses come across during day-to-day expense management. Here's a clear breakdown regarding TDS applicability on these office utility expenses: 🔍 1. Internet Charges (for office use)
💡 However, if internet charges are paid to a telecom operator (like Airtel, Jio, BSNL, etc.) as a regular bill, then:
🔍 2. Landline Telephone Bills (for office use)
🔍 3. Postpaid Mobile Bills (used for official purposes)
✅ However, if there is a retainer contract or consolidated service agreement (e.g., mobile + internet + IT maintenance), then TDS under Section 194J or 194C may apply, based on the nature of the contract. 📌 Summary Table
🧾 Note on Compliance
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Dear Yagay and Sun-sir, Thank you for the detailed response. Could you please explain further why TDS does not apply when services are procured from regular operators? Regards, S Ram
Absolutely — this is a great follow-up, and understanding why TDS does not apply on bills from regular telecom operators like Airtel, Jio, BSNL is key to ensuring correct compliance. ✅ Why TDS Is Not Applicable on Regular Telecom Bills 📘 1. Nature of Service: Not "Technical Services" under Section 194J Section 194J of the Income Tax Act mandates TDS on payments for “fees for professional or technical services.” However, courts and CBDT circulars have clarified that: Routine telecom services (like landline, postpaid mobile, broadband for general use) do not qualify as "technical services". These are standard utility services, delivered identically to all customers — without customization or specialized technical involvement. 💬 CBDT Circular No. 715 (1995): “Payments made to telecom companies for use of telephone lines are not in the nature of technical services and hence, not liable to TDS under Section 194J.” 📘 2. No Contractual Relationship Under Section 194C Section 194C covers payments to contractors for "carrying out any work" under a contract. In the case of telecom bills, there is no such contract for work — it's a standard service agreement, not a contract for carrying out specific work. So, Section 194C also doesn’t apply. 📘 3. Not a Royalty or Equipment Use (Section 194-I / 194J Explanation) Sometimes confusion arises around the use of network infrastructure being “royalty” or “equipment use.” But courts have ruled that: Passive usage of infrastructure (like mobile towers, exchanges) by end-users does not constitute royalty. Therefore, TDS is not applicable under Section 194J (explanation for royalty) either. 📌 Key Case Law: Skycell Communications Ltd. v. DCIT - 2001 (2) TMI 57 - MADRAS HIGH COURT (Madras HC) Held that mere use of telecom facilities doesn’t constitute technical service under 194J. ✅ TDS Is Applicable Only If: The internet or telecom service is part of a customized managed service or dedicated leased line. Or, when the vendor is an IT services provider, bundling connectivity with technical/consultancy support. In such cases, TDS may apply under: Section 194J for technical services, or Section 194C for a bundled managed service contract. 🧾 Summary:
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No TDS on these three charges. Page: 1 |
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