27 May 2011
a public limited co. in india is having its sales team in Nepal. company is paying salaries to team members with out deducting tds as per sec. 195 of IT Act,1961. now the products are advertised there in Nepal through advertising agency situated there. Payment for that advertisement is made from co. office in India. whether tds to be deducted or not? whether there is any double taxation avoidance agreement there between India and nepal?
27 May 2011
IF THE NEPALESE ADVERTISING AGENCY HAS NO BUSINESS CONNECTION IN INDIA THEN NO TDS THERE IS DTAA BETWEEN INDIA ND NEPAL CA MANOJ GUPTA JODHPUR 09828510543