S. 10(22) : Educational institution-Income of trust was utilised personally by managing trustee-Not entitle to exemption. [Art. 136]
S. 10(22) : Educational institution-Income of trust was utilised personally by managing trustee-Not entitle to exemption. [Art. 136]
S. 9(1)(vii) : Income deemed to accrue or arise in India-Fees for technical services-Centralised services-Not fees for technical services or fees for included services-DTAA-India-USA.[Art. 12(4)(a)
S. 9(1)(vi) : Income deemed to accrue or arise in India-Royalty-Software receipts is not taxable as royalty.
S. 9(1)(vi) : Income deemed to accrue or arise in India-Royalty-Receipts from sale of software licences to Indian customers-Software receipts is not taxable as royalty-SLP of Revenue is dismissed. [Art. 136]
S. 9(1)(vi) : Income deemed to accrue or arise in India-Royalty-Non-Resident-Payment for software not royalty-Explns. 5, 6-DTAA-India-China. [Art. 12(3)].
S.9(1)(i) : Income deemed to accrue or arise in India-Business connection-Non-Resident-Use of copyright in the computer software-Software receipts-Not taxable in India-DTAA-India-USA. [S. 9(1)(vi), 90(2) 195, Art. 12]
S. 9(1)(i) : Income deemed to accrue or arise in India-Business connection-Non-Resident-Use of copyright in the computer software-Software receipts-Not taxable in India-DTAA-India-USA.[S. 9(1)(vi), 195]
S. 9(1)(i) : Income deemed to accrue or arise in India-Business connection-Permanent Establishment-Portion of income reasonably attributable to operations in India-Question of fact-Tribunal attributing 15 Per Cent. of total revenues as income accruing or arising in India on basis of functions performed, assets used and risks-Commission paid to distribution agents more than twice this amount and taxed-No further income taxable in India-DTAA-India-USA. [S. 9(1)(i ),n Explanation 1(a), Art. 7]
S. 4 : Charge of income-tax-Interest-Short term deposits-Funds placed with banks during period of construction of project-Interest earned is capital in nature. [S. 28(i), 145, 260A]
S. 4 : Charge of income-tax-Capital or revenue-Sales tax exemption-Scheme requiring recipient of benefit to utilise substantial portion of subsidy for capital purposes-Capital receipt. [S. 28(i)]