Friday 11 April 2014

Sum paid to foreign co. for transmitting bulk SMS wasn't a 'fee for technical service'; no withholdi

IT/ILT : Where assessee-company made carrier payments to a non-resident company in order to transmit bulk SMS data, since nature of services rendered by foreign company required no technical knowledge, payments in question could not be regarded as 'fee for technical services' and, thus, assessee was not required to deduct tax at source while making said payments


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