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Documents Found: 54 |
Title |
Forum |
Year |
Spice Telecom vs ITO
Income deemed to accrue or arise in India-Royalty versus payment for services-AY 2001-02. The assessee an Indian company made payments abroad to a non-resident company of Mauritius work in connection with: legal and finan [LexDoc Id : 333448]
|
ITAT (Bangalore) |
2006 |
Azeez vs State of Kerala
Penalty imposed under FERA 1973-Recovery after repealing of FERA 1973-A penalty imposed on the appellant under s9(1)(b) and 9(1)(d) of the FERA 1973 in the year 1996 could be recovered as an arrear of land revenue under [LexDoc Id : 295564]
|
HC (Kerala) |
2006 |
Sonata Information Technology Ltd. vs Addl. CIT
Royalty vs Sale of goods: Purchase of copyrighted articles-Payment for import of computer software-The assessee company, by way of import of some software packages from various non-resident companies for distributing them to its customers, had acqui [LexDoc Id : 305209]
|
ITAT (Bangalore) |
2006 |
Mphasis BFL Ltd. vs ITO
Income deemed to accrue in India-Sale of copyrighted programme vs Royalty-AY 2000-01, 2002-03. The assessee company was engaged in the business of development of software for which it purchased computer software from a non-r [LexDoc Id : 303215]
|
ITAT (Bangalore) |
2006 |
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