Payments to Belgian entities not taxable as Fees for Technical Services
Payments to foreign entities under India-Belgium income tax treaty The Ahmedabad Bench of the Income-tax Appellate Tribunal held that payments made to Belgian entities are not taxable as “fees for technical services” in view of the most favoured nation clause under the India-Belgium income tax treaty. The case is: Cadila Health Care Ltd. Read a March 2017… Read More »