Thursday 15 May 2014

Payment by Oxford India to Sri Lankan resident for promotion of books in its country won’t be taxabl

IT/ILT: Sales promotion services rendered by 'G' for promotion of books and brand name of applicant in Sri Lanka were not technical services as defined in the Act –Such payments were not taxable in India as Article 14 of India-Sri Lanka DTAA provided that such income would be taxable only in the country in which services were rendered


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