Test Your Knowledge On Tax Deduction In Ad Services
Take the quiz on TDS deduction in case of Advertisement Related Services. Test your knowledge, and stay on updated in tax compliance. Explore now!
Take the quiz on TDS deduction in case of Advertisement Related Services. Test your knowledge, and stay on updated in tax compliance. Explore now!
Dear Professional Seniors & Friends,
Welcome to this wonderful weekend MCQ self-challenge,
This weekend's challenge is on Special Focus on TDS Deduction in case of advertisement-related services having S MCQs to be self-answered by participants to take a challenge. The detailed answers to these MCQs will be posted by our tax consultant in Gurgaon the next day for the self-assessment of the participants This post shall be of immense use to the participant.
MCQ 17.1: Mr. X engages an advertisement agency for the Promotion of his movie. Advertisement agency further engages a News Channel /Newspaper Company for movie publication & promotion. Is TDS required to be deducted by Mr. X for payment made to the advertisement agency? If yes under which section is it to be deducted
A. Yes. u/s 194 C under Contract
B. Yes u/s 194H for Commission.
C. Yes; u/s 194) for Professional Services
D. No TDS to be Deducted.
MCQ 17.2: In reference to the above question, what will be the 105 implication on Payment made by an advertisement agency to a News Channel Newspaper Company?
A. Yes. u/s 194 Cunder Contract
B. Yes us 194Hfor Commission.
C. Yes, u/s 194for Professional Services
D. No TDS to be Deducted
MCQ 17.3: Payment is made by TV Channel/Newspaper Co to Advertisement Agency for booking/procuring/canvassing for Advertisement from various customers, Is TDS required to be deducted?If yes under which section is it to be deducted-
A. Yes. u/s 194 C for Contract
B. Yes, u/s 194H for Commission.
C. Yes, u/s 194 for Professional services.
D. None of the About
MCQ 17.4: What will be the TDS implications on payments made by broadcasters/telecasters to the production house for the production of content or program for broadcasting or telecasting
A. Yes u/s 194 C for Contract
B. Yes, u/s 194H for Commission.
C. Yes, u/s 1941 for Professional Services.
D. No TDS to be deducted.
MCQ 17.3 Payment is made by Advertisement Agency for Advertisement to Doordarshan Is TOS required to be deducted? If yes under which section is it to be deducted?
A. Yes, u/s 194 C for Contract
B. Yes, us 194H for Commission.
C. Yes u/s 194) for Professional Services
D. No TDS is to be deducted.
MCQ 17.4: What will be the TDS implications on payments made by broadcasters/telecasters to the production house for the production of content or programs for broadcasting or telecasting?
A. Yes. u/s 194 C for Contract.
B. Yes, u/s 194H for Commission.
C. Yes, u/s 1941 for Professional Services
D. No TDS to be deducted
MCQ 17.5: Payment made by Advertisement Agency for Advertisement to Doordarshan is TOS required to be deducted.If yes under which section is it to be deducted?
A. Yes, u/s 194 C for Contract.
B. Yes, u/s 194H for Commission.
C. Yes. u/s 1941 for Professional Services
D. No TDS is to be deducted
This post of MCQ is on the provisions relating to applicability of TDS provisions in case of advertisement services.
A) Yes, u/s 194 C under Contract
D) No TDS is required to be deducted
CBDT Circular issues clarifications vide Circular no 215 dated 8.8.1995 regarding Issues related to Advertisement services
There are two legs of payments involved in the advertisement business
D) None of the Above.
A) Yes, u/s 194C for Contract
1. Payment for the Production of content/program as per the specifications of the Broadcaster telecaster
2. Payment for acquisition of Broadcasting telecasting rights of the content already produced by the production House
Case 1
Where the content is produced as per the specifications provided by the broadcaster telecaster and the content program also gets the broadcaster telecaster, the CBDT contracts are covered by the work in Section 1940 of the Act
Therefore they are liable for TDS us 194C
Case 2
Where the broadcaster/telecaster acquires only the broadcasting telecasting rights of the content copyright of the already produced by the production house, there transferred to the is no contract for carrying out any work, as clarified that such required by sub-section (1) of Section 1940 of the definition of the term Act Therefore such payments are not liable for TDS under Section 194C of the Act Such payments are not liable for TDS under under other Sections:
D) No TDS is to be deducted
(Disclaimer. The objective of the MCQ post is just to discuss the concept, it may happen, by a change of facts, and the answer may be different Please do not treat this as a professional opinion you can definitely have your own opinion.)
Sincere Regards!
CA Sanjay Kumar Agrawal
Mobile: 9810116321