Tuesday, 14 January 2014

Export commission paid to NR outside India for services rendered outside India out of the ambit of T

IT/ILT: Where assessee had paid export commission to its non-resident agent, in view of fact that services of non-resident agents were rendered outside India and commission was also paid outside India, income of such agent by way of commission could not be considered as accrued or arisen or deemed to be accrued or arisen in India


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