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Lease Premium Paid to CIDCO is a Capital Expenditure, Thus Not Liable to TDS

Case Name : ITO (TDS) Vs M/s Progressive Civil Engineers Private Limited (ITAT Mumbai)
Appeal Number : ITA Nos.2930/Mum/2014
Date of Judgement/Order : 23/10/2015
Related Assessment Year : 2010-11
Courts : All ITAT (14952) ITAT Mumbai (3584)
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India- USA DTAA: Settlement amount against surrender of right to sue, not in nature of future income compensation is not assessable as income: AAR

Case Name : Aberdeen Claims Administration Inc., USA and Aberdeen Asset Management Plc., UK, In re (Authority for Advance Rulings)
Appeal Number : A.A.R. No. 1364, 1370 & 1433 of 2012
Date of Judgement/Order : 19/01/2016
Related Assessment Year :
Courts : Advance Rulings (3746)
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Being original contract and amendments inextricably linked with business of exploration of minerals, assessable u/s 44BB – AAR

Case Name : Aker Contracting FP ASA, Norway, In re (Authority for Advance Rulings)
Appeal Number : A.A.R. No. 867 of 2010
Date of Judgement/Order : 02/12/2015
Related Assessment Year :
Courts : Advance Rulings (3746)
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Settlement amount against surrender of right to sue, not chargeable to tax either as capital gain or income from other sources – AAR

Case Name : Lead Counsel of Qualified Settlement Fund (QSF), USA, In re (Authority for Advance Rulings)
Appeal Number : A.A.R. No. 1060 & 1078 of 2010
Date of Judgement/Order : 12/01/2016
Related Assessment Year :
Courts : Advance Rulings (3746)
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Transfer of shares of Indian company to Singapore Company, by a Mauritius company having no PE, not taxable in India- AAR

Case Name : Dow AgroSciences Agricultural Products Ltd, Mauritius, In re (Authority for Advance Rulings)
Appeal Number : A.A.R. No. 1123 of 2011
Date of Judgement/Order : 11/01/2016
Related Assessment Year :
Courts : Advance Rulings (3746)
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India- Singapore DTAA – Installation project less than 183 days not constitute PE, income not taxable in India– AAR

Case Name : Tiong Woon Project & Contracting (Pte) Ltd. Singapore, In re (Authority for Advance Rulings)
Appeal Number : A.A.R. No. 1602 of 2014
Date of Judgement/Order : 30/11/2015
Related Assessment Year :
Courts : Advance Rulings (3746)
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India- Ireland DTAA: Transfer of exclusive rights of copyright in computer software, not mandatory to classify receipts as royalty: AAR

Case Name : In re Skill Soft Ireland Limited (Authority for Advance Rulings)
Appeal Number : Advance Ruling No. 985 of 2010
Date of Judgement/Order : 20/07/2015
Related Assessment Year :
Courts : Advance Rulings (3746)
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Penalty on Indian company as per US Court, not liable to TDS u/s 195 – AAR

Case Name : Satyam Computer Services Ltd., In re (Authority for Advance Rulings)
Appeal Number : A.A.R. No. 1066 of 2011
Date of Judgement/Order : 01/12/2015
Related Assessment Year :
Courts : Advance Rulings (3746)
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India- UK DTAA –Routine managerial services not in nature of technical services, not makes available any technical knowledge having enduring benefits – AAR

Case Name : Measurement Technology Limited UK, In re (Authority for Advance Rulings)
Appeal Number : A.A.R. No. 966 of 2010
Date of Judgement/Order : 29/07/2015
Related Assessment Year :
Courts : Advance Rulings (3746)
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India- UK DTAA – Supply Management Services by UK company not in the nature of fee for technical services or royalties – AAR

Case Name : Cummins Limited UK, In re (Authority for Advance Rulings)
Appeal Number : A.A.R. No. 1152 of 2011
Date of Judgement/Order : 12/01/2016
Related Assessment Year :
Courts : Advance Rulings (3746)
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