The order was passed in a litigation by InterDigital against mobile phone manufacturing companies such as Oppo, RealMe and OnePlus brands over usage of cellular technology (3G, 4G, 5G) and video coding technology in their handsets
The Delhi High Court has held that the assessee, Mitsubishi Corporation, is not liable to deduct TDS under Section 195(1) of the Income Tax Act where the sum paid was not chargeable to tax in.
This marks the first issue of WilmerHale’s FRAND Quarterly: Navigating the Global SEP Landscape, a bulletin that will highlight developments about the licensing, litigation, and.