Friday, 26 September 2014

Even before 2013 protocol, treaty benefits allowed to fiscally transparent firm if its profits were

IT/ILT : Where assessee a U.K. based partnership firm engaged in 'rendering' legal services in India had PE in India in terms of article 5(2)(k) of India UK DTAA, profits attributable to PE were taxable under article 7 of India UK DTAA


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