telecommunication services

Service tax – Taxability of import of International Private Leased Circuit services

Letter [F. No. 137/21/2011 - Service Tax], Dated 19-12-2011 Section 65(109a) of the Finance Act, 1994 - Telecommunication service - Clarification on taxability in respect of International Private Leased Circuit (IPLC) charges and amendment in the definition of Telegraph Authority under section 65(111) of the Finance Act, 1994. The IPLC services rendered by a person located outside to a person located in India, is neither taxable under the category of Telecommunication Se..
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Service tax on Telecommunication Services

“Telecommunication service” means service of any description provided by means of any transmission, emission or reception of signs, signals, writing, images and sounds or intelligence or information of any nature, by wire, radio, optical, visual or other electro­magnetic means or systems, including the related transfer or assignment of the right to use capacity for such transmission, emission or reception by a person who has been granted a licence under the first pr..
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Section 80-1A(2) benefit available to telecommunication services undertaking for 10 consecutive years from the year of exercise of option

We have heard both the parties and gone through the facts of the case and the decisions cited before us. The issue before us as to whether or not the assessee is entitled to claim deduction u/s 80IA in terms of the provisions amended w.e.f 1.4.2000 even when the assessee had already started providing telecommunication services in the period relevant to the AY 1997-98. Before proceeding further, we may have a look at the provisions relevant to the AY 1997-98 and
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AAR on Payment for end to end international long distance telecom services not taxable

Cable & Wireless Networks India Private Limited („the applicant?) is engaged in the business of providing international and domestic long distance telecommunication services in India. It proposes to enter into an agreement with its group company, Cable and Wireless UK („C&W UK?) to provide end to end international long distance telecommunication services to its Indian customers.
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Payment made for supply of technical know-how services for setting up cellular telecom services is capital expenditure

The payment for technical know-how obtained to establish or set-up the business of providing telecommunication services or to erect or install network, microwave sites, microwave stations, microwave towers and base stations etc. has to be held as capital expenditure; the other services connected to the carrying on and operating efficiently, the business of providing cellular telecommunication services, and notwithstanding the fact that assessee might have derived some be..
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Service tax refund extended to 3 more export-based services

Exporters will now get tax refund on services provided in relation to sale and purchase of foreign currency under banking and other financial services as well as under foreign exchange broking services from May 16. Service tax refund is also available on the supply of tangible goods, where the right of possession and effective control is not transferred. This will be treated as export if the goods are located outside India during the period of their use by the recipient.
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Service Tax Provisions After Enacement of Finance Act, 2008

Finance Bill 2008 stands enacted with effect May 10, 2008. In case of transactions between Associated Enterprises, service tax is required to be paid on actual receipt of money for taxable service or on crediting / debiting the account whichever is earlier effective from May 10, 2008. Seven new services came into effect from May 16, 2008 in the net of service tax.
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