India Tax News
Treaty between India and Malaysia – Supreme Court of India decision on overriding effect of treaty provisions over domestic law
Indian decision on applicability of tax exemption on income arising from transfer pricing self-adjustments
Indian decision on taxability of payments made to US credit rating agency
India-Cyprus tax treaty to be amended in order to tax capital gains and incorporate limitation of benefits clause
Treaty between India and UK – Indian decision on ascertainment of "business connection"/PE and attribution of profits
Indian Cabinet approves tax treaty with Luxembourg
Budget for 2008/09
Treaty between India and Mauritius – Indian decision on place of effective management of Mauritian company and taxability of capital gains
Treaty between India and Korea (Rep.) – Indian decision on taxability of offshore portion of composite contract
Indian decision on selection of appropriate comparables to determine arm's length price
Treaty between India and the United States – Indian decision on existence of PE re computerized reservation system
Treaty between India and the United States – Indian Revenue clarifies availability of dispute settlement benefits in
Indian decision on residence status of Singaporean company if Indian resident holds substantial stake and source of all Singaporean company's investments in India
Protocol to treaty between India and United Arab Emirates enters into force
Treaty between Iceland and India signed
Treaty between India and Japan – Indian decision on whether losses incurred by PE of Indian company in Japan could be reduced from taxable income in India
Indian Stock Market Regulator issues discussion paper on restricting FII capital flows
Treaty between India and Mexico signed
Indian Income Tax Appellate Tribunal decision on procedure of transfer pricing audit and related matters
Indian Supreme Court decision on whether captive BPO activities give rise to PE and income attributable to PE on such activities
Indian decision on whether reimbursement of expenses to Hong Kong company should be subject to withholding tax
Indian decision on the attribution of profits to dependent agent permanent establishment
Treaty between Australia and India – No PE in Australia for supply chain activities
Decision that transfer pricing adjustments may not be applied retrospectively
Treaty between India and Australia – Indian decision that data processing costs neither taxable as "royalty" nor "business profit"
Indian decision that income arising from dealings with an Indian branch is taxable
Decision that income received from transfer of personnel and database taxable as "business profits"
Ruling that subscription fees for commercial portal taxable in India
Protocol to amend treaty between India and United Arab Emirates – details
India approves signing of protocol to treaty with United Arab Emirates
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