Indian Taxation of a Foreign Satellite Owner’s Income from Transmission of Television Programmes
 
  
            Journal
      
      Asia-Pacific Tax Bulletin 2015 (Volume 21), No. 6
      This article provides an analysis of the Indian case law on services of foreign satellite service providers. As satellites do not have a physical nexus with India, the fees for transponder services do not automatically land in a treaty provision. The issue is of particular interest for non-resident satellite providers and academics.