Monday, 23 December 2013

ITAT denies to rely on another ruling which involved a different treaty and distinguished meaning of

IT/ILT: Where Tribunal on analysis of article 5 of DTAA between India and Korea treated Mumbai based project office as assessee's fixed place of business in India, such finding could not be termed erroneous on basis of decision of Court where treaty between India and Netherland was applied


No comments:

Post a Comment