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Whether Section 206AA overrides DTAA or otherway round, Income Tax |
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Whether Section 206AA overrides DTAA or otherway round |
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I have to make a payment to a non-resident vendor towards software license. I do not have the PAN number of the foreign vendor. Would like to know the rate applicable with respect to below 1. Software License is the subject matter of payment. The license key to be received by mail and tool to be downloaded from the website of the vendor. 2. Vendor is located in USA with any permanent establishment in India nor in anyway connected with India. 3. I do not have the PAN number of the vendor so, should i have to take 20% rate straight away irrespective of lower tax benefit available thru DTAA. 4. Also pls advice on grossing up issue as well, is it specific to vendor agreement or is there anything reg grossing up prescribed in the Act or any other direction? Thanking you in anticipation of a timely response Pavan Namburi Posts / Replies Showing Replies 0 to 0 of 0 Records No Post / Reply found for this query Old Query - New Comments are closed. |
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