The Allegations
- Google Ireland received Rs 8,662.93 crore under the Google Reseller Agreements and did not file the income tax returns
- Payments made to the assessee by Google India were in the nature of royalty and liable to tax deducted at source, income tax officials observed
- A coordinate bench held that sale of online advertising space was not liable to be taxed in India
- However, the assessing officer passed the draft assessment orders taxing the alleged royalty receipts
- The decision carries significant implications for multinational enterprises in the technology sector as it has the potential to establish a precedent favouring taxpayers
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