Guide to INTERNATIONAL TAXATION 2019
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About Guide to INTERNATIONAL TAXATION |
Chapter 1 Residence and Scope of Total Income Chapter 2 Special Provisions Relating to Foreign Company Said to be Resident In India Chapter 3 Income not to be included in the Total Income Chapter 4 Presumptive Taxation and Non Residents Chapter 5 Capital Gains and Non Residents Chapter 6 Double Taxation Relief Chapter 7 Transfer Pricing and Other Provisions to Check Avoidance of Tax Chapter 8 Practical Approach to Computation of Arms Length Prices Chapter 9 Concessional Rates of Tax for NRIs Chapter 10 Tax Deduction at Source In Respect of Payments to Non Residents Chapter 11 Deductions under Chapter VIA available to Non-Residents Chapter 12 Advance Rulings Chapter 13 Application of Profit Split Method — CBDT Circular Chapter 14 Clarification on Functional Profile of Development Centres Engaged in Contract R&D Services with Insignificant Risk — Conditions Relevant to Identify Such Development Centres — CBDT Circular Chapter 15 Significant Judicial Precedents — A Compilation Chapter 16 General Anti-Avoidance Rule Chapter 17 Law relating to Black Money and Imposition of Tax Chapter 18 BEPS ACTION PLAN (Action Plan on Base Erosion and Profit Shifting) Chapter 19 Advance Pricing Agreement Guidance with FAQs Chapter 20 Equalisation Levy Annexure 1 Chapter VIII of Finance Act, 2016: Equalisation Levy Annexure 2 Equalisation Levy Rules, 2016 Chapter 21 Illustrations on International Taxation |