Tuesday, 16 September 2014

Rent paid to a depot agent under a composite service agreement would attract 194C and not sec. 194-I

IT : Where payment made to a depot agent by assessee under agency service agreement was described as rentals paid for premises and specifications were also earmarked and it was for composite services, arrangement would fall under definition of 'rent' provided under section 194C and not under section 194-I


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