TMI BlogSoftware License Payments Deemed Taxable Royalties Under DTAA and Section 9(1)(vi) of Income Tax Act.TDS u/s 195 - Royalty - Assessee purchased certain software licenses from M/s.Saipem SPA, Italy, which were used by assessee for providing services to customers for various support functions in accounting, reporting, etc.- payments towards grant of license/software are taxable as Royalty both under DTAA as well under provisions of Section 9(1)(vi) ..... X X X X Extracts X X X X X X X X Extracts X X X X
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