Monday 15 June 2015

No denial of DTAA benefit to owner of ship just because charterer of ship was liable to tax under bu

IT/ILT: Where assessee rendered services to foreign vessels under agency of a U.K. Company and charterer of ship was of Bahamas, freight beneficiary being a company of U.K., as per DTAA entered into between India and U.K., said income was not taxable in hands of assessee in India

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