Thursday , November 21, 2024 | 12:06:50 IST
INTL TAXATION
Case Laws
DTAA
Circulars (I-T Act, 1922)
Limited Treaties
Other Treaties
TIEAs
Notifications
Circulars
Relevant Sections of I-T Rules,1962
Instructions
Administrative Orders
DRP Panel
I-T Act, 1961
MLI
Relevant Portion of I-T Act,1922
GAAR
MAP
INTL MISC
Case Laws
OECD Conventions
Draft Guidelines
DTC Bill
Committee Reports
FATCA
Intl-Taxation
Finance Acts
Manual on EoI
UN Model Taxation
Miscellaneous
Cost Inflation Index
Union Budget
Information Security Guidelines
TP
Case Laws
APA Annual Report
APA Rules
Miscellaneous
Relevant Sections of Act
Instructions
Circulars
Notifications
Draft Notifications
Forms
TP Rules
APA FAQ
UN Manual on TP
Safe Harbour Rules
US Transfer Pricing
FDI
Case Laws
FEMA Act
Fema Notifications
Master Circulars
Press Notes
Rules
FDI Circulars
RBI Circulars
Reports
FDI Approved
RBI Other Notifications
FIPB Review
FEO Act
LIBRARY
Company Cases
CBR Act
NBFC Report
INTELLECTUAL PROPERTY
Black Money Act
PMLA Instruction
PMLA Bill
FM Budget Speeches
Multimodal Transportation
Vienna Convention
EXIM Bank LoC
Manufacturing Policy
FTDR Act, 1992
White Paper on Black Money
Transfer of Property
MCA Circular
Limitation Act
VISA
Type of Visa
SSAs
EPFO
Acts
FAQs
Rules
Guidelines
Tourist Visa
Notifications
BIPA
Arbitration
Model Text
Agreements
NRI
Case Laws
Relevant Portion of I-T Act
I-T Rules, 1962
Circulars
MISC
Notification
About Us
Contact Us
Newsletters
NEWS FLASH
TP - High cost for services rendered for implementing a software does raise doubts, but mere suspicion is no basis for holding that no services were rendered by AE for said purpose: ITAT (See 'Breaking News')
TP - Companies which are distinct from assessee on account of high turnover, functional dis-similarity & difference in working capital merit being excluded as comparables for benchmarking purposes: ITAT (See 'Breaking News')
INTL -Income of a non-resident assessee cannot be taxed in India where such person is employed abroad during relevant period: ITAT (See 'Breaking News')
DTAA - Fee received for providing technical non-invasive inspection & integrity assessment services for offshore pipelines, cannot be taxed as Fees for Technical Services, considering that Make Available requirement is not satisfied in this case: ITAT (See 'Breaking News')
I-T - Receipts from supply of software products cannot be taxed as royalty or FIS, in absence of transfer of any technical know-how with those products: ITAT (See 'Breaking News')
I-T - It is wholly inequitable for Department to give short credit to tax duly deducted and deposited based on claim that may be made in return of income: HC (See 'Breaking News')
I-T - Bandwidth charges remitted to telecom service providers cannot be treated as royalty either under treaty provisions or u/s 9(1)(vi) of Income tax Act, and hence does not attract TDS: ITAT (See 'Breaking News')
DTAA - Notion that enduring benefit gained by client through repairs & maintenance is akin to make available, is incorrect: ITAT (See 'Breaking News')
DTAA - Providing customer-based information & guidance does not entail problem solving skills or operations or knowledge which allows recipient to perform services independently in future; consideration therefor not treatable as FTS: ITAT (See 'Breaking News')
INTL - Revisionary order passed u/s 263 is invalid, where assessee is not given opportunity to contest the allegations levelled by the CIT: HC (See 'Breaking News')
INTL - Buyback transactions would not be treated as transfer for capital gains purposes; power of revision is unwarrantedly exercised where it is based on a hypothetical assumption of facts: ITAT (See 'Breaking News')
TP - Resale Price Method for benchamarking purposes is appropriate for assessee-company whose activities are limited to purchasing & reselling products without adding any value & which is consistent with those of a routine distributor: HC (See 'Breaking News')
I-T - Payments made overseas for general support services, for which no technology was made available, cannot be taxed as 'FTS': ITAT (See 'Breaking News')
I-T - If purported reasons that prompted AO to reassess and disallow DAP expenditure incurred on production, only demonstrate change of opinion on part of AO, then same can't form basis of reopening: HC (See 'Breaking News')
INTL - Re-assessment proceedings invalidated where based on erroneous information & where commenced in a mechanical manner & without due application of mind: ITAT (See 'Breaking News')
TP - AO could not have assumed jurisdiction u/s 147 based on audit objections after expiry of four years from relevant A.Y: HC (See 'Breaking News')
INTL - Additions framed u/s 69 are invalid where assessee substantiates nature & source of investment & thus discharges onus of proof: ITAT (See 'Breaking News')
DTAA - Comparable company merits being excluded where it operates with extraordinary margins & diverse business interests, including intangibles in contrast to assessee-company: ITAT (See 'Breaking News')
TP - As is trite law, transfer pricing adjustment has to be done only in respect of international transactions with associated enterprises & not at entity level: ITAT (See 'Breaking News')
DTAA - Payments made by Google India Pvt Ltd. to Google Ireland Limited (GIL) for the Adwords program are not in the nature of royalty or FTS & therefore, cannot be taxed in the hands of assessee: ITAT (See 'Breaking News')
TP - No separate ALP adjustment is required for payment of royalty if TNMM approach has been adopted at entity level: ITAT (See 'Breaking News')
TII SEARCH
Case Laws
Circular/Notification/Instruction
DTAA
News
Social Secuirity Agreement
Home
>> VISA>>
Guidelines
Member Login
Username
:
Password
:
Forgot Password
INTL TAXATION
INTL MISC
TP
FDI
LIBRARY
VISA
BIPA
NRI
TII
DTAA
Circulars (I-T Act, 1922)
Limited Treaties
Other Treaties
TIEAs
Notifications
Circulars
Relevant Sections of I-T Rules,1962
Instructions
Administrative Orders
DRP Panel
I-T Act, 1961
MLI
Relevant Portion of I-T Act,1922
GAAR
MAP
OECD Conventions
Draft Guidelines
DTC Bill
Committee Reports
FATCA
Intl-Taxation
Finance Acts
Manual on EoI
UN Model Taxation
Miscellaneous
Cost Inflation Index
Union Budget
Information Security Guidelines
APA Annual Report
APA Rules
Miscellaneous
Relevant Sections of Act
Instructions
Circulars
Notifications
Draft Notifications
Forms
TP Rules
APA FAQ
UN Manual on TP
Safe Harbour Rules
US Transfer Pricing
FEMA Act
Exchange Manual
Fema Notifications
Master Circulars
Press Notes
Rules
FDI Circulars
RBI Circulars
Reports
FDI Approved
RBI Other Notifications
FIPB Review
FEO Act
INTELLECTUAL PROPERTY
CBR Act
NBFC Report
Black Money Act
PMLA Instruction
PMLA Bill
FM Budget Speeches
Multimodal Transportation
Vienna Convention
EXIM Bank LoC
Manufacturing Policy
FTDR Act, 1992
White Paper on Black Money
Posting Policy
PMLA Cases
Transfer of Property
MCA Circular
Limitation Act
Type of Visa
SSAs
EPFO
Acts
FAQs
Rules
Guidelines
Tourist Visa
Notifications
Arbitration
Model Text
Agreements
Relevant Portion of I-T Act
I-T Rules, 1962
Circulars
MISC
Notification
About Us
Contact Us
A Taxindiaonline Website. Copyright © 2010-2023 |
Privacy Policy
| Taxindiainternational.com Pvt. Ltd. OPC All rights reserved.
TIOL GROUP WEBSITES