Co-operative society's mandatory reserve and share capital fixed deposits with banks-interest treated as business income under 80P(2)(a)(iii) deductio...
Income tax reassessment reopening after four years on investigation tip, without s.147 proviso disclosure failure, struck down as borrowed satisfactio...
Characterisation of payments under Annual Maintenance Contracts for computers, DG sets, elevators and telecommunication services was determinative for TDS treatment. The tribunal found that routine periodic repair and upkeep under AMCs constitute payment for work/maintenance (works contract) and thus attract TDS accordingly; such payments do not qualify as managerial, professional or fees for technical services. Consequently, the assessee was not chargeable as an assessee in default and the demand under default provisions was set aside, with the assessing officer directed to delete the addition.
Characterisation of payments under Annual Maintenance Contracts for computers, DG sets, elevators and telecommunication services was determinative for TDS treatment. The tribunal found that routine periodic repair and upkeep under AMCs constitute payment for work/maintenance (works contract) and thus attract TDS accordingly; such payments do not qualify as managerial, professional or fees for technical services. Consequently, the assessee was not chargeable as an assessee in default and the demand under default provisions was set aside, with the assessing officer directed to delete the addition.
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