PMLA anticipatory bail requires satisfaction of twin conditions, while predicate-offence protection does not extend to independent money-laundering pr...
School-affiliation charges remain taxable where not directly connected with examinations, while extended limitation requires proof of deliberate tax e...
Income deemed to accrue or arise in India - treatment of "Commission income" and receipts from "Subscription fee" - Assessee in publishing business receiving "Subscription fee" from Indian customers on behalf of affiliated publishers, revenue treated as Fees for Technical Services (FTS). Held: Services did not involve application of special skill or technical knowledge, merely promotion, sale, distribution of publications or support services. No special skills required for services under Commissionaire Agreement. Services not categorized as technical or consultancy services. Subscription amount not royalty as no copyright granted to subscribers, only copyrighted publication sold. Assessee's contention upheld, services not FTS. Decided in favor of assessee.
Income deemed to accrue or arise in India - treatment of "Commission income" and receipts from "Subscription fee" - Assessee in publishing business receiving "Subscription fee" from Indian customers on behalf of affiliated publishers, revenue treated as Fees for Technical Services (FTS). Held: Services did not involve application of special skill or technical knowledge, merely promotion, sale, distribution of publications or support services. No special skills required for services under Commissionaire Agreement. Services not categorized as technical or consultancy services. Subscription amount not royalty as no copyright granted to subscribers, only copyrighted publication sold. Assessee's contention upheld, services not FTS. Decided in favor of assessee.
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