Wednesday, 8 October 2014

No TDS on sums paid for hiring of ships as resultant gain was taxable only in Singapore under India-

IT/ILT : Where JOPL, a Singaporean company, under an agreement, provided ships to assessee for transportation of coal between two Indian ports, transaction was covered by article 8 of Indo-Singapore DTAA and income of JOPL from Indian operations was not taxable in India


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