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Chandrasekhar (C)     31 July 2010

Whether TDS provisions applicable to AOP when s.11 is denied

Good Morning.  My query is-- if a trust is denied exemption u/s.11 and assessment is completed as AOP, in such a situation, whether the department can consider disallowance u/s.40(a)(ia) for contravention of 194C and 194I, 194H, 194J etc.,  When the entire exemption is denied, whether separate computation is required? (or) alternatively, when the person is treated as AOP, all computation within sections 28 to 44 would apply, besides denial of exemption u/s.11?   Kindly throw some light on it with any supporting cases.

Thank u.



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