Opinion Of Eminent Legal Luminaries On Controversial Issues

Taxability of world income in the hands of resident

QUERY: I am QNET agent. Till last year I have filed my service tax return and income tax return as TDS on commission was deducted and appeared in form 26AS. Now, I have changed my agency base from Mumbai to Dubai and therefore a company is not deducting tax at source on commission, as the same is not chargeable tax in Dubai. So my question is whether the same is chargeable in my hands in India, as I am resident in India as per section 6 of the Income-tax Act.
ANSWER: As querist himself admits that he is resident of India as per section 6 of the Act. So as per section 5, in the hands of resident, all income from whatever source derived would be included in the total income of such individual viz.
a) Is received or is deemed to be received in India;
b) Accrues or arises or is deemed to accrue or arise to him in India; or
c) Accrues or arises to him outside India.
Thus, reading section 5 of the Act, it is clear that in the hands of resident Individual world income is taxable, particularly when, section 5(1)(c) specifically includes in the hands of resident "income accrues or arises to him outside India".
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Posted in Income-tax

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Credit: Several of the queries and answers are reproduced with permission from the AIFTP Journal. We thank AIFTP for generously allowing us to host their research material.
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