DTAA Between India & UAE. (*Also see legal updates at the end of this article). Agreement For Avoidance Of Double Taxation And Prevention Of Fiscal Evasion . India-UAE income tax treaty: The Rajkot Bench of the Income-tax Appellate Tribunal held that because the taxpayer was liable to tax in the. A person who was resident and ordinarily resident of India went to Dubai in April for the purpose of employment. In the previous year.
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The KPMG member firm in India has prepared reports about the following tax developments read more at the hyperlink provided below.
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Only residents can benefit from DTAA – Livemint
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Please take a moment to review these changes. You will not receive KPMG subscription messages until you agree to the new policy. Ignore and log out Continue. Treatment of software payments under tax treaty. Treatment of software payments under tax treaty with Germany India: Treatment of software payments under tax treaty The KPMG member firm in India has prepared reports about the following tax developments read more at the hyperlink provided below.
India-UAE income tax treaty: The Supreme Court held that a circular issued by the Central Data of Direct Taxes specifying the monetary limit for filing an appeal before the Appellate Tribunal, Data Courts, and Supreme Court applies even to pending matters, subject to certain conditions.
B Dairy Farming P Ltd. Read a November report [PDF KB] Deposit of central excise duty in personal ledger account amounts to payment, eligible for deduction: The Supreme Court held that an advance deposit of central excise tax duty in a personal ledger account dtza an actual payment within the meaning of section 43B of the Income-tax Act, Therefore, the taxpayer was entitled to uwe benefit of a deduction of this amount.
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