Wednesday, June 6, 2018

Indian hotel managed and operated by a Luxembourger hotel constitute its fixed place PE in India: AAR

IT : Payments received by applicant from Indian hotel owner for provision of global reservation services (GRS) would be chargeable to tax in India under section 9(1)(i) read with Articles 5 and 7 of India-Luxembourg DTAA as business income and is attributable to applicant's permanent establishment in India

from www.taxmann.com Latest Case Laws https://ift.tt/2kSKuXG

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AO can’t disallow cost of improvement merely relying on enquiries made with assessee’s neighbour: ITAT

INCOME TAX : Where assessee had purchased a flat and incurred expenditure of Rs. 23 lakhs for purpose of renovating house and Assessing Offi...