Trade discount given by assessee dealing with its vendors on P2P basis couldn’t be treated as commission

INCOME TAX : Trade discount given by assessee, engaged in business of publishing and selling newspaper, to newspaper vendors and advertising agencies was not in nature of ‘commission’ and no TDS was to be deducted under section 194H on sameINCOME TAX : Trade discount given by assessee, engaged in business of publishing and selling newspaper, to newspaper vendors and advertising agencies was not in nature of ‘commission’ and no TDS was to be deducted under section 194H on samewww.taxmann.com Latest Case LawsRead More

Leave a Reply