Mondaq India: Tax > Withholding Tax
Nishith Desai Associates
Holds that damages for breach of contract and interest thereon, paid in consequence of an international arbitral award, are not taxable in India under Article 22(1) of the Indo-Swiss DTAA;
DNV & Co
A question arises is whether a foreign company which has earned income from a source in India is required to file its tax return in India.
Nishith Desai Associates
India's traditional policy of non-alignment and the Swiss policy of neutrality, coupled with shared values of democracy and rule of law have forged close ties between the two countries.
Nishith Desai Associates
The Authority for Advance Rulings ("AAR") in a recent ruling (AAR/671/2005) has held that there will be a withholding tax requirement on payments made to a non-resident agent
Khaitan & Co
The tax rates and income slabs under the Income-tax Act, 1961 (IT Act) remain the same, other than the following proposed changes
Nishith Desai Associates
The Indian Income Tax Act, 1961 ("ITA") contains several provisions that deal with the taxation of different categories of mergers and acquisitions.
Nishith Desai Associates
AHEAD of this year's Budget, Software Coalition, an industry body representing many of the world's leading software companies, shot off a letter to the finance ministry seeking clarity on the tax treatment of cross-border payments made for computer software.
Nishith Desai Associates
With respect to the direct tax proposals, the budget has stipulated streamlining of income tax return filings with electronic verification and provision for quick refund mechanism (within 24 hours).
Nishith Desai Associates
Payments for web-hosting services are in the nature of business income.
Nishith Desai Associates
New Delhi, Dec 7 () ESOPs should be taxed only when the benefits are realised by an employee, said a report on taxation in the digital economy.
TMF Group
Long a magnet for growing global businesses, especially in software, India now enjoys a reputation as the third-largest tech startup hub in the world.
SKP Business Consulting LLP
As expected, the budget has been populist, where many sops have been provided to middle-class tax payers and farmers.
S.S. Rana & Co. Advocates
Conducting business across the borders has always been a profitable source of elevating the income sources.
DNV & Co
With globalisation and fast expanding businesses beyond Indian territory, Indian Companies avail various kinds of services from Companies and professionals outside India and incur expenses like Royalty, ...
Nishith Desai Associates
Tribunal holds that a valid TRC is evidence of not just residence of taxpayer but also it being the beneficial owner of income.
S.S. Rana & Co. Advocates
The Government is working towards controlling the import of non-essential goods in India with the objective of checking the current account deficit.
LexCounsel Law Offices
One of the most common questions in an international transaction is the tax liability of the non-resident on the income proposed to be generated in India on provision of managerial, technical or consultancy services in India.
LexCounsel Law Offices
Taxation is one of the most fundamental aspect of cross border transactions and generally attracts a lot of attention while negotiating and closing international deals.
SKP Business Consulting LLP
On 27 August 2018, the Kenyan Department of Immigration issued a new directive stating that it will increase its control over the requirement for foreign nationals, seeking to work in Kenya, to apply for a work permit prior to entry into the country.
SKP Business Consulting LLP
The Federal Government of Nigeria has announced the extension of the deadline for filing returns under the Voluntary Assets and Income Declaration Scheme (VAIDS).
Most Popular Recent Articles
DNV & Co
With globalisation and fast expanding businesses beyond Indian territory, Indian Companies avail various kinds of services from Companies and professionals outside India and incur expenses like Royalty, ...
Nishith Desai Associates
Holds that damages for breach of contract and interest thereon, paid in consequence of an international arbitral award, are not taxable in India under Article 22(1) of the Indo-Swiss DTAA;
DNV & Co
A question arises is whether a foreign company which has earned income from a source in India is required to file its tax return in India.
Nishith Desai Associates
The Indian Income Tax Act, 1961 ("ITA") contains several provisions that deal with the taxation of different categories of mergers and acquisitions.
Nishith Desai Associates
The Authority for Advance Rulings ("AAR") in a recent ruling (AAR/671/2005) has held that there will be a withholding tax requirement on payments made to a non-resident agent
Khaitan & Co
The tax rates and income slabs under the Income-tax Act, 1961 (IT Act) remain the same, other than the following proposed changes
Nishith Desai Associates
Payments for web-hosting services are in the nature of business income.
Nishith Desai Associates
AHEAD of this year's Budget, Software Coalition, an industry body representing many of the world's leading software companies, shot off a letter to the finance ministry seeking clarity on the tax treatment of cross-border payments made for computer software.
Nishith Desai Associates
New Delhi, Dec 7 () ESOPs should be taxed only when the benefits are realised by an employee, said a report on taxation in the digital economy.
S.S. Rana & Co. Advocates
Conducting business across the borders has always been a profitable source of elevating the income sources.
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