Is a company required to deduct tax at source u/s 194C for payment made to mobile company where the company has taken many corporate connections in its name.
I know but it is written in Vinod Gupta's mat that the same is in the nature of service charges and so TDS is to be deducted u/s 194C.
I also disagree with this, even in the ICAI's practice manual there's no reference to this section however, it mentions that this is not a technical service and so no TDS u/s 194J.
This has put me in a fix.
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