Director of Income Tax Inter.T v. M/S Modiluft Ltd.
Case brief
What is this about?
Taxability of technical-support and crew-lease payments to a German aircraft lessor required fresh examination under the Indo-German DTAA and Section 9(1)(vii). The Court set aside the ITAT’s orders and remitted the matters for specific findings, directing a final order within six months.
What did the court decide?
ITAT orders set aside; matters restored to the ITAT for fresh findings under the DTAA and the Act, with a final order within six months.