Revisability of return invalidation communications under tax procedure affirmed, impugned non revisional finding quashed and matter remitted for fresh...
Transferable duty credit scrips validity and bona fide transferee entitlement to exemption upheld where scrips were subsisting at import, appeals allo...
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Consideration received for granting non-exclusive broadcasting rights in feature films was examined to determine whether it constituted "royalty" under Explanation 2 to section 9(1)(vi) and Article 12(3) of the applicable treaty. The rights granted were limited to broadcast, with no transfer of copyright or ancillary rights such as editing, modification, deletion, addition, or sublicensing, and the licensor did not part with any copyright interest. On these terms, the payment was held not to be for the use of any copyright and therefore did not fall within the definition of "royalty", resulting in deletion of the addition and allowance of the appeal. - ITAT
Consideration received for granting non-exclusive broadcasting rights in feature films was examined to determine whether it constituted "royalty" under Explanation 2 to section 9(1)(vi) and Article 12(3) of the applicable treaty. The rights granted were limited to broadcast, with no transfer of copyright or ancillary rights such as editing, modification, deletion, addition, or sublicensing, and the licensor did not part with any copyright interest. On these terms, the payment was held not to be for the use of any copyright and therefore did not fall within the definition of "royalty", resulting in deletion of the addition and allowance of the appeal. - ITAT
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