AAR : Whether on the facts and in law, can the consideration, including mobilization and demobilization revenues, for services provided by the Applicant to Indian Oil Corporation Limited (‘IOCL’) and to Larsen & Toubro (‘L&T’) be construed to be in the nature of ‘Fees for Technical Services’ (‘FTS’) under section 9(1)(vii) of the Act
Authority For Advance Rulings (Income Tax), New Delhi Global Industries Asia Pacific Pte. Ltd., In Re Section 9, 90 Justice […]