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          Deduction of Head Office Expenditure in the Case of Non-Residents – Section 44C

          Presumptive Taxation for Non-Resident

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          Deduction for Head Office Expenditure limited to a statutory percentage of adjusted total income or actual attributable expenditure. Section 44C allows non-residents a deduction for head office expenditure outside India attributable to Indian business or profession, limited to the lower of a prescribed percentage of adjusted total income (or of the average adjusted total income where adjusted total income is a loss) and the actual attributable head office expenditure. 'Head office expenditure' means executive and general administration costs incurred outside India, including rent, employee remuneration, travel and related administration expenses. 'Adjusted total income' excludes the section 44C allowance and specified carryforwards, depreciation and Chapter VI-A deductions.
                            Cases where this provision is explicitly mentioned in the judgment/order text; may not be exhaustive. To view the complete list of cases mentioning this section, Click here.
                              Provisions expressly mentioned in the judgment/order text.

                                  Deduction for Head Office Expenditure limited to a statutory percentage of adjusted total income or actual attributable expenditure.

                                  Section 44C allows non-residents a deduction for head office expenditure outside India attributable to Indian business or profession, limited to the lower of a prescribed percentage of adjusted total income (or of the average adjusted total income where adjusted total income is a loss) and the actual attributable head office expenditure. "Head office expenditure" means executive and general administration costs incurred outside India, including rent, employee remuneration, travel and related administration expenses. "Adjusted total income" excludes the section 44C allowance and specified carryforwards, depreciation and Chapter VI-A deductions.





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