Tuesday, April 2, 2019

Payment to foreign Co. for outright purchase of software is not "royalty": ITAT

IT/ILT: Where assessee, an Ireland based company, earned income from sale of software to its distributor in India, in view of fact that assessee received consideration for transfer of a copyrighted product and not for transfer of copyrights in computer software programme, amount received by assessee was not in nature of 'royalty' as defined under article 12 of India-Ireland DTAA

from www.taxmann.com Latest Case Laws https://ift.tt/2uIoVha

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AO can’t disallow cost of improvement merely relying on enquiries made with assessee’s neighbour: ITAT

INCOME TAX : Where assessee had purchased a flat and incurred expenditure of Rs. 23 lakhs for purpose of renovating house and Assessing Offi...