Saturday , April 21, 2018 |   22:41:44 IST
INTL TAXATION INTL MISC TP FDI LIBRARY VISA BIPA NRI
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NEWS FLASH
 
TP - In absence of any distinguishing features, High Court cannot interfere into a settled issue in respect of same parties and factual situation for earlier AYs: HC (See 'Breaking News) TP - When foreign exchange fluctuation gain is in respect of sale made in earlier year then same cannot be considered for purpose of TP analysis: ITAT (See 'Breaking News) BEPS Action 4 - OECD seeks feedback on excessive interest deductions by MNEs (See 'Brief') OECD to reveal more steps in May to strengthen CRS integrity (See 'Brief') I-T - HC cannot entertain Writ petition by exercising its jurisdiction under Article 226 of Constitution of India challenging factual issues for which there is alternate statutory remedy available: HC (See 'Breaking News') I-T - Payment of management charges made by company to its foreign AE is not an allowable deduction u/s 40(a)(ia) when, no TDS is deducted from such payment: ITAT (See 'Breaking News') I-T - Interest u/s 220(2) cannot be charged when, delay in giving effect to appellate order and consequent adjustment against refund was on Revenue's part: ITAT (See 'Breaking News') CBDT Diktat on Misconduct - But, Mr Prime Minister, Actual High-handedness lies in Revenue Target Fixation! (See 'COB(Web) ' in 'Taxindiaonline.com') TP - Once a company becomes not comparable for reason of absence of segmental information in order to apply filters, then other aspects of comparability needs no adjudication: ITAT (See 'Breaking News') TP - Profile of Indian taxpayer entity once conclusively determined by TPO, should not be re-characterised by Department's counsel: ITAT (See 'Breaking News')
 
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TII BREAKING NEWS
 
TP - When foreign exchange fluctuation gain is in respect of sale made in earlier year then same cannot be considered for the purpose of
TP - In absence of any distinguishing features, High Court cannot interfere into a settled issue in respect of same parties and factual situation for
TP - HC cannot entertain Writ petition by exercising its jurisdiction under Article 226 of Constitution of India challenging factual issues for which there is
I-T - Payment of management charges made by company to its foreign AE is not an allowable deduction u/s 40(a)(ia) when, no TDS is deducted
< More News >
 
TII SPECIAL Apr 17, 2018
 
FTA Benefits on Third Country Invoicing Arrangements in International Trade
By Dhruv Matta & Raghav Khurana

THE concept of Third Party Invoicing is widely recognized in domestic as well as international trade.It involves a bill-to-ship-to model between 3 parties. Equally popular is the concept of trade between countries which are signatories to a Free Trade Agreement. It results in the trade of goods between countries at preferential tariff rates

 
TII EDIT Mar 22, 2018
 
EU digital economy taxation proposal
By D P Sengupta

ALTHOUGH nothing new or revolutionary, some further developments have recently taken place in the area of taxation of the digital economy. The EU has been working on this for some time now and has come up with a plan. Interestingly, the document has been leaked and is now openly available in the public

 
BULLETIN BOARD
 
New Delhi, Apr 12, 2018
CBDT amends Protocol between India-Kazakhstan...
New Delhi, Feb 27, 2018
Risk Management and Inter-bank Dealings: Revised guidelines relating to participation of a...
New Delhi, Feb 23, 2018
CBDT notifies India-Kenya DTAA ...
New Delhi, Feb 07, 2018
Calling for applications for posting at Under Secretary Level in Foreign Tax & Tax Researc...
< More News >
 
TII BRIEF
 
Paris, Apr 20, 2018
BEPS Action 4 - OECD seeks feedback on excessive interest deductions by MNEs...
Paris, Apr 20, 2018
OECD to reveal more steps in May to strengthen CRS integrity...
New Delhi, Apr 13, 2018
CBDT prescribes Protocol amending India-Kazakhstan DTAC ...
Paris, Apr 13, 2018
Taxes continue to be very effective tool to reduce inequalities: OECD ...
New Delhi, Apr 11, 2018
BEPS Action 5 - CBDT proposes amendment in Rule 44E & Forms 34C, 34D & 34DA ...
 
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