The Commissioner of Income Tax - International Taxation -3 v. Xiocom ( Nz) Ltd.
Case brief
What is this about?
Revenue appeal against ITAT decision holding software licence payments to a New Zealand assessee were not royalty under Section 9(1)(vi)/DTAA Article 12, following the Supreme Court's Engineering Analysis ruling. Counsel did not contest its applicability; no substantial question arose and the appeal was dismissed.
What did the court decide?
Appeal dismissed in favour of the respondent-assessee; delay condonation application disposed of.