Saturday, 25 October 2014

ITAT directs AO to decide whether receipt for customized research/retail management services would r

IT/ILT : Where assessee, a US based company, received certain amount from rendering customised research services and retail management services to its group concerns located in India, conclude as to whether consideration received by assessee company would fall within meaning of 'Royalty' or 'Fees for included services', matter was to be remanded back for disposal afresh in light of article 12 of India USA DTAA


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