Section 195

Sec. 201A, Section 195, Section 90

Madras H.C : The appellant is a limited company having its registered office at Calcutta and head office at Chennai and is engaged in the business of manufacturing switch gears and selling electrical equipments including high voltage and medium voltage switch gears, transformers, control panels, relays, electrical equipments involved in the development of power generation, transmission and distribution

High Court Of Madras Areva T & D India Ltd. vs. Income Tax Officer Section 90, 195, 201(1A), DTAA between

Sec. 9(1)(i), Sec. 9(1)(vi), Section 195, Section 9

AAR : Whether the receipt arising to the applicant, from the proposed assignment of the turbocharger development and supply agreements in accordance with the assignment deeds be taxable in India having regard to the provisions of the IT Act, 1961 (“the Act”) and the Double Taxation Avoidance Agreement between India and Switzerland (“the DTAA”) ?

Authority For Advance Rulings ABC Ltd., In Re Sections 9(1)(i), 9(1)(vi), 195 Syed Shah Mohammed Quadri, J., Chairman & A.S.

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