ITO vs Net Freight India (P) Ltd.
ALP-Freight forwarding services-A.Y. 2004-2005. The assessee a subsidiary of a co. of Singapore provided freight forwarding service to customers in India. The assessee and its subsid [LexDoc Id : 460003]
Dania Oro Jewellery (P) Ltd. vs ITO
ALP-Rate of interest-Interest on delayed receipts from AE-A.Y. 2008-2009 The assessee had not charged any interest from its AE for delayed payment upto 1200 days. In case of non. AEs no interest was charged f [LexDoc Id : 463207]
LI and Fung India (P) Ltd. vs CIT
ALP - Outsourcing Services- Captive Outsourcing provider-Cost plus Mark up vis-s-vis FOB Value-A.Y. 2006-07.
The LFIL is 100% subsidiary of LFIL(M) a Co. of Mauritius. It was a captive off-share sourcing provider for LFT a group Co. of Hong [LexDoc Id : 457760]
Mitsubishi Corpn., In re
Maintainability of Application before AAR-Pendency of proceeding before A.O.-If the impugned claims are shown in the return and notice u/s 143(2) is issued, it can be said that the question raised was pending before the A.O..LexDoc Id : 457039]
Nokia India (P) Ltd. vs Addl. CIT and Anr.
Validity of: Provisional attachment-Extent of attachment-At present, the tax demand was inchoate. It may take considerable time before reaching finality. The assessee was permitted to sell certain assets sub [LexDoc Id : 456893]
Endemol India (P) Ltd., In re-1
F.T.S Fees for Technical Services - make available-TV Programmes - Services rendered abroad-The assessee was producing and distributing TV programmes. NAPL of Singapore was made responsible for overall production of progrmmes and other busine [LexDoc Id : 457041]
AAR
2013
Endemol India (P) Ltd., In re
Fees for Technical Services - [FTS]-Fees for: General management - International operations - Legal advice - Tax advice - Accounting and reporting controls - Human resources - Corporate re-organization and development-The assessee was subsidiary of a foreign Co. The parent Co. provided the captioned services. These were provided due to technical knowledge, considera [LexDoc Id : 457040]
Endemol India (P) Ltd., In re
F.T.S. - Broadcasting and Telecasting Services-Business connection - Services asked abroad-The payment was made by the assesseee to non-resident co for providing services in connection with broadcasting and telecasting services. The services [LexDoc Id : 457042]