Thursday, 29 August 2013

Receipts of Thai company from rendition of support services to Indian consultancy co. is not FTS

IT/ILT: Where assessee-company, a resident of Thailand, provided data, information and other support services to its Indian counterpart so as to enable it to render strategic consultancy services, amount received by assessee for providing said services was to be regarded as "business profits" within meaning of article 7 of India-Thailand DTAA and in absence of assessee's PE in India, said amount could not be brought to tax in India


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