(1 - 11 von 11
)
Indian decision on whether PE had to be in existence during ...
www.orbitax.com
... profits" under the Tax Treaty, there should be a PE for the project during the relevant period and that the profits should be attributable to such PE in India.
Treaty between India and United States – Indian decision on when...
www.orbitax.com
... the tax authorities contended that the Taxpayer had a fixed place PE under article 5 (1) of the Tax Treaty and taxed the profits attributable to such PE. Further ...
Taxing International Sporting Events—the India Perspective
news.bloomberglaw.com
— ... the income attributable to such PE could potentially be subject to income tax in India at the maximum rate applicable to foreign ... › t...
sortiert nach Relevanz / Datum