Receipts from seismic data services excluded from fees for technical services under Section 9(1)(vii), taxable under Section 44BB
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....The ITAT upheld that receipts from provision of seismic data acquisition, pre-survey studies, and related services are not fees for technical services but fall within the exclusion under Explanation (2) to Section 9(1)(vii), being consideration for "mining or like projects." Consequently, such revenue is taxable under Section 44BB, consistent with precedent. Additionally, the tribunal ruled that reimbursement of service tax received by the assessee is not includible in gross turnover for computing taxable income under Section 44BB. The decision favored the assessee by excluding service tax reimbursements from taxable income and affirming the applicability of Section 44BB to the revenue streams in question.....