The Income Tax Appellate Tribunal (ITAT), Delhi Bench held that Mitsui India Pvt. Ltd. (MIPL) is not a Dependent Agency Permanent Establishment (DAPE) of Mitsui & Co. so no further profit could be attributed. The assessee, Mitsui & Co. Ltd. is a company incorporated in Japan and is one of biggest trading houses of the […]
from Taxscan | Simplifying Tax Laws https://ift.tt/35Z8Nfj
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