ITAT: Fees paid for business- development services to subsidiary not FTS under India-Singapore DTAA


Conclusion

Mumbai ITAT holds that business development fees paid by assessee-company to its wholly owned subsidiary in Singapore during AY 2008-09 , not FTS under Article 12 of India-Singapor...

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

Queries?

Contact Vidyadhar Mhatre at +91 93200 54016
Email - sales@taxsutra.com

Top