Bombay High Court Upholds Assessee in Income Tax Reference on Technical Service Fees — Payments for Deputation of Technical Personnel Held Not Royalty Under Section 9(1)(vi) of Income Tax Act, 1961. The court affirmed that payments received under service agreements for technical know-how and services are technical service fees covered by proviso to Section 9(1)(vii), exempt from tax.
8 Aug 2014The case involved an Income Tax Reference by the Revenue against the assessee, M/s Montedison of Italy, a non-resident company. The assessee had taken...




