THE TRANSMISSION CORPORATION OF A.P. LTD. AND ANR. versus THE COMMISSIONER OF INCOME TAX, A.P.

THE TRANSMISSION CORPORATION OF A.P. LTD. AND ANR. versus THE COMMISSIONER OF INCOME TAX, A.P.

The obligation to deduct tax at source under Section 195 applies to payments made to non-residents, and such obligation extends to the portion of the payment chargeable to tax, not just sums that are 'pure income profits'. Section 195 covers sums with income embedded or hidden in gross receipts; deduction is...

Source-derived case information.

Parties
Appellant: THE TRANSMISSION CORPORATION OF A.P. LTD.; Respondent: THE COMMISSIONER OF INCOME TAX, A.P.
Jurisdiction
India
Procedural Posture
Civil Appeal / Appeal From Andhra Pradesh High Court Decision on Income Tax Reference
Outcome
Appeals dismissed
Legal Topics
Income Tax, Tax Deduction at Source (tds), Payments to Non Resident Companies, Interpretation of 'sum Chargeable' Under Income Tax Act
Tax Law Income Tax Tax Deduction at Source (tds) Payments to Non Resident Companies Interpretation of 'sum Chargeable' Under Income Tax Act

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Parties

THE TRANSMISSION CORPORATION OF A.P. LTD.

Appellant

THE COMMISSIONER OF INCOME TAX, A.P.

Respondent

Procedural Posture

Civil Appeal / Appeal From Andhra Pradesh High Court Decision on Income Tax Reference

  1. 1 Whether Section 195 of the Income Tax Act, 1961 applies to payments made to non-residents which do not wholly represent income
  2. 2 Whether obligation to deduct tax is on gross amount or only income component of trading receipts

Ratio Decidendi

The obligation to deduct tax at source under Section 195 applies to payments made to non-residents, and such obligation extends to the portion of the payment chargeable to tax, not just sums that are 'pure income profits'. Section 195 covers sums with income embedded or hidden in gross receipts; deduction is tentative, subject to assessment, and provisions for relief via Section 195(2), 195(3), and 197 are available to recipients.

Court Disposition

Appeals dismissed

Orders

  • Assessee under obligation to deduct tax at source under Section 195 on payments made to non-residents under contracts.
  • Obligation limited to the appropriate proportion of income chargeable under the Act forming part of the gross sums paid.