Job
91 Points
Joined December 2007
Dear
From the above discussions, i would like to add that the section 195 are separate section from other TDS sections.
In section 195 it is clearly written that any person responsible for payment to non resident... here words are any person.
Further taxability of NR is depending upon the income earned or deemed to earned in india as per section 5(2).
Also refer section 9 - Income deemed to accure or arise in india.
In above given case of commission , it is my person opinion that
if service provider does not have any PE in india and services are provided outside india. the no income is arise/accure/earmed in india or deemed to earn in india.. so no WHT applicable.
VG