23 April 2009
An agreement entered into by a resident company with a non-resident foreign company situated in Dubai(UAE) for providing management consultancy/technical services by later for a project to be undertaken in India.
Whether remittances to the non-resident foreign company that does not have a permanent establishment in India impose TDS liability on the payer in light of section 195,Double taxation avoidance agreement with UAE & section 115A of Income Act
26 April 2009
In general the income is taxable in India and hence TDS is applicable. However, before deciding the issue, get is examined professionally.