Friday, 19 September 2014

Royalty income offered by NR at lower tax rate without any assessment to be deemed as escaped income

IT/ILT: Reassessment in case of assessee a non-resident company was to be upheld as application of 15 per cent tax rate for royalty income under India-US DTAA instead of 30 per cent under section 115A of amounts to lower tax rate application resulting in escapement of Income


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