ONGC Videsh Limited v. Ito, International Taxation
Case brief
What is this about?
The High Court allowed appeals against orders treating subscription fees for accessing an overseas oil and gas database as royalty. The Court held that since the information was used for business outside India, the payments are excluded from scope of taxability under section 9(1)(vi)(b) of the Income Tax Act.
What did the court decide?
Appeals allowed; payments held as excluded from royalty taxability under section 9(1)(vi)(b).