Advertisement
trendingNowenglish2525155https://zeenews.india.com/companies/relief-for-google-india-in-ireland-payment-case-as-itat-says-fund-not-subject-to-withholding-tax-2525155.html

Relief for Google India in Ireland payment case as ITAT says fund not subject to withholding tax

The Bengaluru-bench of ITAT gave this ruling after re-examining the matter on the orders of the Karnataka High Court. 

  • ITAT said the payments made by Google India to Google Ireland between 2007-08 and 2012-13 is not a royalty
  • The Bengaluru-bench of ITAT gave this ruling after re-examining the matter on the orders of the Karnataka High Court
  • The case relates to whether payments totalling Rs 1,457 crore made by Google India to Google Ireland is a royalty and tax is to be withheld in India.

Trending Photos

Relief for Google India in Ireland payment case as ITAT says fund not subject to withholding tax In its fresh ruling dated October 19, 2022, the ITAT set aside its 2018 order and said that such transfer of money was not a royalty.

NEW DELHI: In a relief to Google India, the Income Tax Appellate Authority (ITAT) has said the payments made by the company to Google Ireland between 2007-08 and 2012-13 is not a royalty and hence, it is not subject to withholding tax.

The Bengaluru-bench of ITAT gave this ruling after re-examining the matter on the orders of the Karnataka High Court. The case relates to whether payments totalling Rs 1,457 crore made by Google India to Google Ireland is a royalty and tax is to be withheld in India.

The ITAT in its earlier order in 2018 had held that Google India's payment to Google Ireland is royalty and tax should be paid in India. However, Karnataka High Court directed ITAT to re-examine the matter.

Also Read: 'Diwali Bhet': 87,000 employees of THIS PSU to get Rs 5000 bonus each

In its fresh ruling dated October 19, 2022, the ITAT set aside its 2018 order and said that such transfer of money was not a royalty. Allowing the appeal of Google India, the ITAT, in a 72-page order dated October 19, said, "we hold that the impugned payment cannot be characterised as royalty under the India-Ireland DTAA."

Email sent to Google India for comment on the issue did not elicit a response.

Stay informed on all the latest news, real-time breaking news updates, and follow all the important headlines in india news and world News on Zee News.