AIT-2017-05-ITAT
M/s. Nagarjuna Fertilizers and Chemicals Limited
Vs. ACIT, Hyderabad |
Special
Bench:
the provisions of section 206AA of the Act will not have a overriding
effect for all other provisions of the Act and the provisions of the
Treaty to the extent they are beneficial to the assessee will override
section 206AA by virtue of section 90(2). In our opinion, the assessee
therefore cannot be held liable to deduct tax at higher of the rates
prescribed in section 206AA in case of payments made to non-resident
persons having taxable income in India in spite of their failure to
furnish the Permanent Account Numbers |