Monday, July 13, 2020

BANKING

“We concur with the view of the Tribunal that interest received by the assessee, pursuant to Article 11(3)(c) of the India-Mauritius tax treaty would not be eligible to tax in India, respectfully follow the same,” members NK Pradhan and Ravish Sood said in the order dated July 8.

from Banking/Finance-Industry-Economic Times https://ift.tt/2OlT5Ro
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