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DTAA - Expenses incurred as pure reimbursements, do not attract tax liability: HC (See 'Breaking News') I-T - Once MA for rectification moved by taxpayer u/s 254(2) stands admitted and previous order stands recalled which was not challenged, then no matter remains for further perusal: HC (See 'Breaking News') TPO is not permitted to resort to ad-hoc unilateral pricing of management fees under CUP, without any benchmarking with comparable uncontrolled transactions: ITAT (See 'Breaking News') I-T - Commission paid overseas for rendering services abroad, does not attract tax liability in India: ITAT (See 'Breaking News') DTAA - Business income earned by non-resident entity from rendering of centralized hotel services, cannot be taxed as 'FTS' if it has no PE in India: ITAT (See 'Breaking News') DTAA - Interest income earned by Foreign benk which is beneficial owner as per respective Treaty provision, is not liable for tax in India: ITAT (See 'Breaking News') TP - Functionally dissimilar profile and absence of segmental profitability, renders such entity unfit for purposes of comparison: ITAT (See 'Breaking News') Budget 2020 - What may cheer up Taxpayers & also FM? (See 'THE COB(WEB)' in TIOL) DTAA - Interest paid by Indian Branch to overseas branches being in nature of payment made to self, will be governed by principle of mutuality, and hence, not taxable under I-T Act: ITAT (See 'Breaking News') TP - Extended credit period allowed to AEs for repayment of outstanding receivables, calls for adjustment if impact of receivables was not factored in working capital: ITAT (See 'Breaking News') TP - Pure financial advisor & investment banker is not comparable to mere support service provider, being functionally dissimilar: ITAT (See 'Breaking News') CLIs indicate stabilising growth: OECD (See 'Brief')
 
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Breaking News
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DTAA - Expenses incurred as pure reimbursements, do not attract tax liability: HC...
I-T - Once MA for rectification moved by taxpayer u/s 254(2) stands admitted and previous order stands recalled which was not challenged, then no...
TPO is not permitted to resort to ad-hoc unilateral pricing of management fees under CUP, without any benchmarking with comparable uncontrolled t...
I-T - Commission paid overseas for rendering services abroad, does not attract tax liability in India: ITAT...
DTAA - Business income earned by non-resident entity from rendering of centralized hotel services, cannot be taxed as 'FTS' if it has no PE in In...
DTAA - Interest income earned by Foreign benk which is beneficial owner as per respective Treaty provision, is not liable for tax in India: ITAT...
TP - Functionally dissimilar profile and absence of segmental profitability, renders such entity unfit for purposes of comparison: ITAT...
TP - Pure financial advisor & investment banker is not comparable to mere support service provider, being functionally dissimilar: ITAT...
TP - Extended credit period allowed to AEs for repayment of outstanding receivables, calls for adjustment if impact of receivables was not factor...
DTAA - Interest paid by Indian Branch to overseas branches being in nature of payment made to self, will be governed by principle of mutuality, a...
I-T - Slot chartering being ancillary activity to operation of ship, income derived therefrom is exempt within meaining of profits from shipping:...
DTAA - Subscription charges received by non-resident entity from customers in India towards use of equipments & process, is taxable as royalty un...
I-T - No disallowance is permitted u/s 40(a)(i) in respect of overseas payments made towards IVTC charges for failure to deduct TDS u/s 195, on b...
I-T - Assessment framed in hands of non-existent entity lacks jurisdiction and hence invalid per se: ITAT...
DTAA - Treaty benefits will be available in respect of revenue earned from feeder vessels obtained by taxpayer on slot hire arrangements: ITAT...
DTAA - Once receipts earned from provision of services through vessels are covered u/s 44BB, then same should be excluded from definition of roya...
I-T - Income earned by non-resident entity from Indian Customers with respect to subscription fees for CAS, cannot be taxed as royalty, in absenc...
I-T - AO is independent to arrive at his own findings upon appreciation of evidence and materials placed on record and he is not bound by prima f...
TP - Mere accrual of some benefit of enduring nature is no basis to treat AMP expenditure as 'capital expenditure' as it has been incurred for co...
DTAA - Income earned by non-resident entity from rendering web hosting services simplicitor without providing any physical access, cannot be taxe...
 
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