Thx for your all such updates sir,
Plz help me for one querry:
We have one Indin company procurring Technical testing/IT software services to be provided to our subsidiaries/holding companies abroad at Singapore,Nepal, Australia. The procurring company bills to us with service tax & we may arrange it to be billed in the said subsidiaries/holding by two means:
1. The Indian Procurring company may bill us with service tax;
2. The Indian Procurring company may provide those technical services directly to our subsidiaries/holding company abroad & bill inclusive of service tax.
Plz advise what are the tax implications beneficials for us.
Whether we can avail the service tax input for paying some other cenvat/service tax liability as the export services to foreign subsidiaries/holding companies are exempt.
Plz help.
Rgs
Thanks & Regards
CA.Nagendra P.Gupta
Dial:+91+9971023615 |