Wednesday, 6 January 2016

No tax on foreign co. if services rendered by its PE were compensated at ALP and PE had paid taxes i

IT/ILT: Where assessee's branch office, which was considered as assessee's PE in India, was compensated at arm's length for performing services in respect of direct sales made by assessee in India, no part of assessee's profit could be taxed in India as profit attributable to Indian PE

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