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Indian Tribunal Holds that Payments to Non-Residents for Consumer Information are Considered Royalties

|Approved Changes|India
India

The Bangalore Income Tax Appellate Tribunal has held that payments by an Indian market research firm to non-resident companies for access to customized consumer information and data are considered royalty payments, and therefore subject to withholding tax.

The basis of the decision was that under Indian tax law, the imparting of information concerning commercial knowledge is considered a roya…

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