OrbitaxOrbitax

Treaty between India and Israel – Indian decision that payment for supply of software is not royalty

|Treaty Development|India; Israel
India; Israel

The Income Tax Appellate Tribunal (ITAT) delivered a ruling dated 26 August 2011 in the case of TII Team Telecom International Private Limited (ITA No. 3939/Mum/2010) where it held that the payment received for supply of software could not be treated as "royalty" under the India - Israel Income and Capital Tax Treaty (1996) (the Treaty) as it was neither for the use of a …

Continue Reading