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Software License Fees in India Not Taxable as Royalty Under Treaty; Section 9(1)(vi) of Income Tax Act Applies.
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....Supply of software on licence - Taxability in India - If the receipts cannot be taxed under the treaty as royalty, then it cannot be taxed under the domestic law under section 9(1)(vi) Income Tax Act and the amended provision cannot be read into treaty - AT....
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