Mauritius to Singapore share transfer driven by "operational-excellence" motive, dismisses tax-avoidance charge
AAR rules that capital gains arising on proposed transfer of Indian group company’s shares by applicant (a Mauritian company) to its Singaporean affiliate not taxable in India, g...
Purchase this Article
2000₹ Buy Now
For 2000₹, purchase this and receive immediate online access.
Already a Subscriber?
Log in for complete access.Log In
Contact Kalpana J at +91 98200 47188
Email - email@example.com