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"4. Ground Nos.2 to 5 are regarding disallowance under Section 40(a)(ia)
of the Income Tax Act, 1961 (in short 'the Act') of payment towards
software licenses treated by the Assessing Officer as royalty for want of
TDS. The assessee has also raised additional grounds which are as under :
Corporate tax matters
21. " Without prejudice to the grounds 2 to 4, the Learned CIT(A) has
failed to appreciate that during the Financial Year 2008-09 relevant to the
Assessment Year 2009-10, the Appellant was not liable to withhold tax on
the payments made as there was no provision under the Act mandating the
deduction of tax at source on the payments made on purchase of computer
software and there were many favorable judicial precedence including the
jurisdictional tribunal rulings.