Monday, 31 March 2014

Sum received by Dutch Co. for providing marketing service outside India to Indian Hotel taxable as p

IT/ILT : Where Dutch company provided marketing services to Indian hotel and receipts were not proved to be mere reimbursement of expenses, following Tribunal's order in earlier years, taxability of impugned amount was required to be determined in terms of article 7 of DTAA with Netherland


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