CA Student
245 Points
Posted on 15 August 2018
IT IS CONFERRED BY ARR THAT SUPPLY BETWEEN BRANCHES OF OFFICE IN OTHER STATE IS AYUPPLY BETWEEN TWO ENTITIES & HENCE TAXABLE SUPPLY, AS PER SAID RULING, ANY SERVICE PROCURED BY BRANCHES OF H.O OF ANY ENTITY IN OTHER STATE SHALL BE LIABLE TO PAY TAX @ 18%,