Case Law Details
PCIT Vs Godaddy.Com LLC (Delhi High Court)
Introduction: The Delhi High Court, in the context of Assessment Year (AY) 2014-15, recently issued a significant judgment on the appeal titled “PCIT vs GoDaddy.” This appeal contested the order of the Income Tax Appellate Tribunal dated 26.05.2023. The Tribunal was tasked with evaluating the legal tenability of the Commissioner of Income Tax (Appeals)’s decision to delete penalties totaling Rs. 1,97,31,721/- and Rs. 4,95,98,366/- under Section 271(1)(c) of the Income-tax Act, 1961 for AY 2013-14 and AY 2014-15.
Detailed Analysis:
The core issue revolved around the taxability of income from domain registration services. The Commissioner of Income Tax (Appeals) had deleted the penalties based on the belief that this income was not chargeable under the Act. The Tribunal’s analysis considered the dual revenue streams from web hosting and domain registration charges. Notably, the assessee had not initially offered income from domain registration services for taxation, asserting a bona fide belief in its non-taxability.
The Tribunal, drawing parallels with relevant legal precedents, emphasized the debatable nature of the issue. It noted that the quantum appeals filed by the assessee before the Hon’ble Delhi High Court raised substantial questions of law. The court had framed a question regarding whether income received for domain name registration services constituted “royalty” under Section 9(1)(vi) of the Income Tax Act, 1961.
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