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Permanent Establishment
Bandwidth Charges Exempt from TDS as They Do Not Constitute Royalty: ITAT Favors Bharti Airtel Ltd [Read Order]
October 18, 2024
Distribution Revenue from US Broadcasting Company not Taxable as “Royalty” under India-US DTAA [Read Order]
September 17, 2024
Subscription Fees from cloud Services not Taxable as Royalty in India under India-Ireland DTAA: ITAT [Read Order]
August 29, 2024
Liaison Office of Non Resident Printing Entity in India can treated as PE under Article 5(2) India-Germany DTAA: ITAT [Read Order]
March 7, 2024
CESTAT Annual Digest – [Part – 23]
January 10, 2024
No Profit can be Attributed if Commission Paid to Ricardo India is Adjusted Against Profit Attributed to PE: Delhi HC [Read Order]
December 30, 2023
Understanding Permanent Establishment in International Taxation: Key Concepts and Implications
October 25, 2023
Relief to Gemological Institute of America, Indian Subsidiary Operating Independent manner does not Constitute PE: ITAT [Read More]
September 27, 2023
Dividend income from Indian Entities in Oman Treated as PE under Omani Tax Laws, Not Taxable in India: Supreme Court [Read Order]
September 25, 2023
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