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"3. From the perusal of the facts which have not been disputed by the Revenue, it is
clear that the assessee has remitted the entire gross amount received from the
cable operators to M/s. Sun TV Network Ltd., The amount remitted by the assessee
to M/s. Sun TV Network Ltd., includes the amount of TDS deducted by the cable
operators at the time of payment made by them to the assessee. In lieu of the
services rendered by the assessee, the assessee is entitled to receive fixed
commission. Since tax has already been deducted and paid to the Government at
the time of making collections, the assessee is entitled to get the credit of the same
while receiving commission income. M/s. Sun TV Network Ltd., had engaged the
services of the assessee for collection of the subscription amount against
commission. However, the cable operators at the time of payment of subscription,
deducted the tax at source and remitted the remaining amount to the assessee.
The subscription collected by the assessee is not its income and hence is not
taxable in the hands of the assessee. The assessee is only a nodal agency for
collecting subscription on behalf of M/s. Sun TV Network Ltd. The amounts
collected by the assessee are credited to the separate account 'Subscription
Charges'. The said account is debited at the end of Financial Year when the
amounts are paid to M/s. Sun TV Network Ltd. As the subscription collected by the
assessee from various cable operators is not the income of the assessee, the same
is not shown in Profit & Loss account. The subscription amount is the income of
M/s. Sun TV Network Ltd. and as such is taxable in the hands of M/s. Sun TV
Network Ltd. However, the cable operators are deducting tax at source on the
payments of subscription made to assessee, whereas, the assessee is remitting the
gross amount to M/s. Sun TV Network Ltd., the assessee is entitled to receive
credit of the tax deducted at source u/s. 199 of the Act subject to production of TDS
Certificates received from respective deductors. The levy of tax on the commission
received would amount to double taxation".