No TDS on Service Tax charged
on Professional or Technical fees
We are
sharing with you an important judgement of the Hon’ble Rajasthan High Court, in
the case of Commissioner of Income Tax (TDS), Jaipur Vs. M/s. Rajasthan Urban
Infrastructure [2013 (8) TMI 12 –
RAJASTHAN HIGH COURT] on following issue:
Whether
TDS is to be deducted on the amount of Service Tax charged on professional/
technical fees under Section 194J of the Income Tax Act, 1961?
Facts & Background:
M/s Rajasthan Urban
Infrastructure Development Project (“the Respondent”or “the RUIDP”or “the
assessee”) is a project of Government of Rajasthan for the Infrastructure
Development and Civic Amenities in the specified areas/ cities in the state of
Rajasthan. The RUIDP appoints the technical and project consultants and deducts
income tax at source from the amount of fee payable as per the agreement and
deposit the same as per the relevant provisions of the Income Tax Act, 1961 (“the Income Tax Act”) and subsequently
files the return for the same within due time.
The Assessing Officer, vide its order dated
30.01.2009 raised a demand of Rs. 1,70,881/- alongwith interest thereon
amounting to Rs. 44,776/-, on account of TDS on the amount paid as Service Tax
pertaining to Financial Year 2005-06. The assessee preferred an appeal before
the Commissioner of Income Tax (Appeals), Jaipur which was allowed. Being
aggrieved with the same, the Revenue filed an appeal before the Income Tax
Appellate Tribunal, Jaipur but the same was dismissed. Hence the revenue
preferred an appeal before the Hon’ble Rajasthan High Court.
Held:
It was held by the
Hon’ble Rajasthan High Court that if Service tax is payable in addition to
professional/ technical fees under the contract, the withholding tax will be
restricted to the professional fees. Hence, examination of contract terms is
imperative.
The Hon’ble Rajasthan
High Court held that the words “any sum paid” used in Section 194J
of the Income Tax Act, relate to “fees for professional services or fees for
technical services”. In terms of the agreement, the amount of Service
Tax was to be paid separately and was not included in the fees. Hence the
orders passed by Appellate Authority as well as the Appellate Tribunal are in
accordance with the provisions of Section 194J of the Income Tax Act.
Points to note:
The Central Board of Direct Tax (“the
CBDT”) vide its Circular No. 4/2008, dated 28.04.2008 held that TDS under
Section 194I of the Income Tax Act would be required to be made on the amount
of rent paid/payable without including the Service Tax.
However, the CBDT vide its Circular No. 275/73/2007-IT(B), dated 30.06.2008
decided not to extend the scope of Circular No. 4/2008 to payment made under
Section 194J of the Income Tax Act since it covers any sum paid.
Therefore, it remains to be seen that whether the Revenue files another
appeal before the Hon’ble Supreme Court or accepts the above judgment of the
Hon’ble Rajasthan High Court and gives relief to assessees.
Hope the information will assist you in your Professional endeavors.
In case of any query/ information, please do not hesitate to write back to us.
Thanks & Best Regards.
Bimal Jain
FCA, FCS, LLB, B.Com (Hons)
Mobile: +91 9810604563
E-mail: bimaljain@hotmail.com
Bimal Jain
FCA, FCS, LLB, B.Com (Hons)
Mobile: +91 9810604563
E-mail: bimaljain@hotmail.com
Disclaimer: The contents of this document
are solely for informational purpose. It does not constitute professional
advice or recommendation of firm. Neither the authors nor firm and its
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thereon.
Readers are advised to consult the professional for understanding
applicability of this newsletter in the respective scenarios. While due care
has been taken in preparing this document, the existence of mistakes and omissions
herein is not ruled out. No part of this document should be distributed or
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