hai all
Is it any service tax applicable for oversea jobs.
my company doing software consultant services for a overseas client
we not export anything !
Thanks
praba (consultant) 02 November 2010
hai all
Is it any service tax applicable for oversea jobs.
my company doing software consultant services for a overseas client
we not export anything !
Thanks
Hardeep Singh Lamba (Proprietor) 02 November 2010
Dear Praba
Normally software consulting services fall under ambit of service tax net. In your case the services are rendered by Indian entity to overseas entity, therefore the services may qualify as export of service; which is not liable to service tax.
Please note that for all export transactions service contract is a primary document that needs to be properly reviewed therefore before taking export stand please get the contract reviewed from a service tax consultant.
Also would request you to please elaborate on nature of overseas jobs and your complete facts or in case you require to have a verbal discussion then please call.
Thanks & regards
Hardeep Singh Lamba
Chartered Accountant
+91-9891535339
R.Ramachandran (Advocate) 02 November 2010
Dear Prabha,
You are not clear with your query.
Please clarify whether (i) Your company is doing software consultant services for a overseas client i.e. sitting in India, the consulting service is being provided - by means of internet / written communication; or (ii) sends software engineers to foreign soil to perform the job there; or (iii) doing consultation service in India to a overseas company, which service the overseas company utilises in India itself.
Shayan Khan (B.com) 02 November 2010
Software consultancy service is a taxable service under Service Tax Law.(assumed to be taxable on the basis of information provided)
Import of taxable service is taxable u/s 66A while export of taxable service is exempt subject to the following-
Taxable Services are exported within the meaning Exports of Services Rules 2005 (i.e. service is provided from india and used outside india) and
payment is received in terms of convertible foreign exchange.
Thank you!
praba (consultant) 02 November 2010
hai
Ramachandran
Thanks for the replay
My company is doing software consultant services for a overseas client through internet .
Nothing other then this . It is very small setup .
just we are communicate through internet and do some works .
we are not involved none other activites !
They send our consultations charges through internet banking .
Am not made any kind of registrations !
what kind of tax applicable for us !
Hardeep Singh Lamba (Proprietor) 03 November 2010
Dear Praba
As already provided that services rendered from India to overseas client qualify as export.
Basis your descripttion, you are engaged in rendering software consultancy services via internet. The said service falls under service tax law under taxable service category of Information Technology Software Service (‘ITSS’).
Accordingly, if you satisfy all the following conditions cumulatively then the service would qualify as export, which is not liable to service tax.
(1) Service is rendered to entity located outside India;
(2) The recipient of service is located outside India and
(3) Consideration of service is received in convertible foreign currency
However, please note that you must take care of service tax compliances, i.e. taking registration, filing return with appropriate export turnover.
Regards
Hardeep Singh Lamba
Chartered Accountant
+91-9891535339