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Sum paid for right to use software is deemed as ‘royalty’ and not sum paid for purchase of software

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Posted onon April 9, 2016

Tenet Tax Daily April 08 2016

By tenettax-team
Corporate Tax, International Tax

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‘Fortis’ was liable to deduct TDS under sec. 194J on sum paid to doctors engaged on retainership basis
An order already revised under sec. 264 couldn’t be subsequently revised by invoking sec. 263

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