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Case Law Details

Case Name : Sapphire Foods India Limited Vs OSD TDS (ITAT Mumbai)
Related Assessment Year : 2016-17
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Sapphire Foods India Limited Vs OSD TDS (ITAT Mumbai)

Assessee, operating KFC & Pizza Hut restaurants, was treated as an assessee-in-default u/s 201(1) & 201(1A) for not deducting TDS on year-end provisions of ₹5.70 crore towards rent, contractors, professional & technical charges, etc. The AO raised a total demand of ₹64.51 lakh, holding that TDS should have been deducted even on year-end accruals.

Assessee argued that:

  • Payees were not identifiable at year-end.
  • 30% of such expenses were disallowed suo motu u/s 40(a)(ia) in the return.Please become a Premium member. If you are already a Premium member, login here to access the full content.

Author Bio

CA Vijayakumar Shetty qualified in 1994 and in practice since then. Founding partner of Shetty & Co. He is a graduate from St Aloysius College, Mangalore . View Full Profile

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