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Double Taxation Avoidance Agreement


CBDT Amends FTS Clause in India Spain DTAA

CBDT Amends FTS Clause in India Spain DTAA


By | Reetu | March 20 @ 12:19 PM

Consideration of architectural design services not to be classified as royalty under India Singapore DTAA: ITAT

Consideration of architectural design services not to be classified as royalty under India Singapore DTAA: ITAT


By | Reetu | July 22 @ 6:21 PM

CBDT notifies DTAA between Republic of India and the Government of the Republic of Chile

CBDT notifies DTAA between Republic of India and the Government of the Republic of Chile


By | Reetu | May 5 @ 12:41 PM

Interest income to be taxed under Article 7 should be directly or indirectly attributable to PE: ITAT

Interest income to be taxed under Article 7 should be directly or indirectly attributable to PE: ITAT


By | Meetu Kumari | July 8 @ 9:49 PM

Commission earned by distributing Mutual Funds regulated by SEBI & RBI Outside India not sufficient business nexus

Commission earned by distributing Mutual Funds regulated by SEBI & RBI Outside India not sufficient business nexus


By | CA Pratibha Goyal | June 8 @ 5:53 PM

No Tax on Sale of software under India Singapore DTAA as assessee has sold copyrighted article & not copyright

No Tax on Sale of software under India Singapore DTAA as assessee has sold copyrighted article & not copyright


By | Deepak Gupta | May 18 @ 12:44 PM

Performance Guarantee Commission Is Not Business Income Under DTAA: Delhi ITAT

Performance Guarantee Commission Is Not Business Income Under DTAA: Delhi ITAT


By | Nilisha | March 29 @ 5:38 PM

CBDT issued Clarification regarding MFN Clause in the Protocol to India’s DTAAs with Certain Countries

CBDT issued Clarification regarding MFN Clause in the Protocol to India’s DTAAs with Certain Countries


By | Reetu | February 5 @ 2:36 PM

ESPN sports channel has no presence in India, it cannot be taxed: ITAT

ESPN sports channel has no presence in India, it cannot be taxed: ITAT


By | Sushmita Goswami | November 19 @ 1:15 PM

Advertisement charges paid to non-resident company cannot be considered as royalty

Advertisement charges paid to non-resident company cannot be considered as royalty


By | CA Bimal Jain | September 7 @ 7:42 PM

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