Interest Received By Overseas Head Office From Its Indian Permanent Establishment Is Not Taxable In View Of Treaty Benefits: Mumbai ITAT

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Referring to the provision of Article 12 and 7 of the India-France DTAA which demonstrate that interest payment made by the permanent establishment to the head office are not taxable in the hands...

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India , France , Farooq Irani , Division Bench , Amarjit Singh , Accountant Member , Kavitha Rajagopal , Judicial Member , India France Tax Treaty ,

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