Monday 9 December 2013

Revenue supposed to verify agreement between parties and relevant tax treaty to bring payment within

IT/ILT: To decide whether payment made by assessee to its subsidiary of USA amounted to 'fees for technical services' or same was reimbursement of expenses, it was necessary to look into agreement between assessee and its subsidiary and also whether services rendered fell within ambit of 'technical service' as per DTAA


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