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Receipts on account of supply of software were integrally connected to the supply of hardware and therefore AO was not right in taxing such receipts as royalty - software supplies could not be taxed even under the amended law. - Tri

Income Tax - Receipts on account of supply of software were integrally connected to the supply of hardware and, therefore, AO was not right in taxing such receipts as royalty - software supplies could .....

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