granted a licence to undertake trading in electricity under section 12; (27) “franchisee” means a persons authorised by a distribution licensee to distribute electricity
Nigam Limited or Mahanagar Telephone Nigam Limited to their public call office franchisees.] [ Inserted by Act 22 of 2007, Section
through Panchayat Institutions, users’ associations, co-operative societies, non-Governmental organisations or franchisees
authority, Panchayat Institution, users’ association, co-operative societies, non-governmental organisations, or franchisees
business of retailing of single brand
sports goods on a franchisee model. The Opposite Party No. 1 is a listed German
stock corporation ... sports goods in Noida".
5. As per the information, through a Franchisee Agreement („the Agreement‟) on
27.08.2003, the Opposite Party No. 3 appointed
dealt with the issue of „franchisee commission‟. He noted that as
per the trading and profit and loss account („P & L Account ... preceding years, a substantial amount was claimed on account of franchisee
commission which was debited to the P&L Account i.e., the franchisee
followed by BCCI.”
3. The Committee accordingly heard the individuals and the Franchisees
found guilty by Mudgal Committee and by an order dated 14th July ... discussed matters
relating to Indian Premier League and recommended that the franchisee
companies who are responsible for fostering competition and making revenues
deserve
performed by them and the activities of sub-cable operators
who are franchisee of the respondent-company. According to the
respondents, the object ... visual signals in terms of clause 2 of the agreement.
The franchisee has access to the signals provided by respondent No.1.
Therefore, it cannot
debt, being the amount due from the franchisee of First Computers. It is stated that the main business of First Computers was to impart computer ... education and it had collected security deposits from various franchisees. It is stated that the business, however, slowed down and worsened due to the tragic
itself is not a sports event
but an entity of franchisee teams and therefore it is
taxable. On the same analogy the sponsorship received ... independent of sport event
and hence taxable.
(2) The activity of the franchisee subserves the business of
BCCI IPL and would fall within the scope