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2016 (9) TMI 341 - AUTHORITY FOR ADVANCE RULINGS NEW DELHI

2016 (9) TMI 341 - AUTHORITY FOR ADVANCE RULINGS NEW DELHI - TMI - TDS u/s 195 - Whether the Settlement Amount payable pursuant to the Settlement Agreement to Aberdeen Asset Management PLC, United Kingdom (“Aderdeen”), will be regarded as sum chargeable to tax under the provisions of the Act, as referred to under Section 195 thereof? - Held that:- As relying on the ruling pronounced in In Re : Aberdeen Claims Administration Inc. and Aberdeen Asset Management Plc.[2016 (1) TMI 793 - THE AUTHORITY .....

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l hearing. 2. The applicant has raised the following questions:- Q.1 Whether, on the facts and circumstance of the case, the Settlement Amount payable pursuant to the Settlement Agreement to Aberdeen Asset Management PLC, United Kingdom ( Aderdeen ), will be regarded as sum chargeable to tax under the provisions of the Act, as referred to under Section 195 thereof? Q.2 Where the answer to the Question No. 1 is in the affirmative and the applicant is required to deduct income tax under Section 19 .....

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