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payments to Non-Residents to USA/UK, Which definition will apply? As per DTAA or as per section 9(1).

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....ayments to Non-Residents to USA/UK, Which definition will apply? As per DTAA or as per section 9(1).<br> Query (Issue) Started By: - Abraham Wilson Dated:- 4-9-2012 Last Reply Date:- 6-9-2012 Income T....

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....ax<br>Got 1 Reply<br>Income Tax<br>Dear Experts, Recently in Budget 2012, the definition of Royalty vide in section 9(1)(v)(vi)(vii) has been amended with Certain Explanations. But the same has not b....

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....een amended with DTAA with USA/UK. While making payments to Non-Residents to USA/UK, Which definition will apply? As per DTAA or as per section 9(1). Pls give your valuable points. Reply By CA GOPA....

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....LJI AGRAWAL: The Reply: The meaning of royalty as defined u/s 9(1) would apply that too restrospectively from June 1, 1976.<br> Discussion Forum - Knowledge Sharing ....