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Service tax query urgent

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fees paid to director for technical services provided in his professional capacity wheather liable to service under import of services if the director is non resident and reside abroad ,one point is to be noted the company paying in indian currency in his indian account

Q2.Server rental paid to a company incorporated outside india and does not have any establisment in india ,the compant are paying the sum in foreign currency in his foreign bank account

one point is to be noted that the compant is not liable to deduct TDS on that  because the income neither accrue nor arise in india

my question on the above is that whather the above transaction liable to service tax under section 66a import of service

 

both question related t o IT company in india

Replies (1)

Question 2: It doesnt any way effect if the organisation has no establishment in India but the matter of fact is whether the services has been utilised in India, If yes, it will be taxable in India subject to any DTAA


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