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        <h1>Court applies Section 194-C over 194-I for TDS deduction, emphasizing tax law consistency and uniformity.</h1> <h3>Commissioner of Income Tax (Tds), Kanpur Versus M/s. Fressscale Semiconductor India Pvt. Ltd.</h3> The Court ruled in favor of applying Section 194-C for TDS deduction instead of Section 194-I in the case. The decision was based on the similarity of ... TDS deduction u/s 194C @ 2% or u/s 194I - transport of students - buses/vehicles were hired for fixed tenure and exclusive usage by the assessee - Held that:- The Tribunal was correct in holding that the provisions of Section 194-C of the Act and not Section 194-I were attracted to the deduction of tax at source – Following the decision in Commissioner of Income Tax Vs. M/s Apeejay School Apeejay School Campus [2014 (9) TMI 51 - ALLAHABAD HIGH COURT] - Decided against Revenue. Issues:1. Interpretation of Section 194-C vs. Section 194-I of the Income Tax Act, 1961 for TDS deduction.2. Consideration of the definition of 'plant' under Section 43(3) in relation to TDS deduction.3. Relevance of Board Circular No. 558 dated 20.03.1990 in the context of exclusive hiring for fixed tenure.Analysis:Issue 1:The primary issue in this case revolves around the interpretation of Sections 194-C and 194-I of the Income Tax Act for TDS deduction. The appellant disputed the correctness of deducting TDS under Section 194-C at 2% instead of the amended Section 194-I at 10%. The crux of the matter was whether the hiring of buses/vehicles by the assessee for exclusive usage fell under the definition of 'rent' as per Section 194-I, which includes machinery, plant, or equipment. The appellant argued that the ITAT erred by not considering the specific provisions and definitions under Section 194-I.Issue 2:Another aspect raised was the consideration of the definition of 'plant' under Section 43(3) in conjunction with Section 194-I for TDS deduction purposes. The appellant contended that vehicles should be considered as part of the definition of 'plant' under Section 43(3) and, therefore, subject to TDS deduction under Section 194-I. This issue further emphasized the need to interpret the relevant statutory provisions accurately to determine the applicability of TDS rates.Issue 3:The appellant also challenged the reliance on Board Circular No. 558 dated 20.03.1990, arguing that it was issued before the introduction of Section 194-I and did not cover cases of exclusive hiring for a fixed tenure. The interpretation of circulars and their applicability to specific cases formed a crucial part of the legal arguments presented.In the judgment, the Court clarified that the provisions of Section 194-C were correctly applied for TDS deduction in the present case, as opposed to Section 194-I. This decision was based on the similarity of terms and conditions in the present case to a main appeal, leading to the conclusion that the issue raised would be governed by the judgment in the main appeal. The judgment highlighted the importance of consistency in interpreting tax laws and relevant provisions to ensure uniformity in decision-making.In conclusion, the Court disposed of the appeal in favor of applying Section 194-C for TDS deduction, emphasizing the significance of legal interpretations and precedents in determining tax liabilities.

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