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Treaty-shopping: Nepal ejects Mauritius out of its cart (See TII Edit) TP - Resale price method is most appropriate for benchmarking international transaction in its distribution segment: ITAT (See Breaking News) TP - CIT(A) ought not to have restored matter back to AO under mistaken view that it was ex-parte order: ITAT (See Breaking News) I-T - 'Test of imparting' is touchstone if foreign entity continues to use its own industrial and commercial experience to render services, and essence of royalty lies in alienation, not in application: ITAT (See Breaking News) I-T - Reimbursements of expenses made on cost to cost basis, i.e. without any markup, cannot be treated as FIS, in absence of make available clause: ITAT (See Breaking News) I-T - No attribution of profit can be made to PE when there is no existence of PE at all: ITAT (See Breaking News) I-T - Payments made for providing standard facility for data processing without any human intervention, is not taxable in India as FTS in terms of Sec 9(1)(vii): ITAT (See Breaking News) I-T - Receipts from distribution activity is not royalty in absence of dependent agent PE: ITAT (See Breaking News) TP - If there was no value addition, and assessee only sought reimbursement of expenses on cost to cost basis, no ALP adjustment is permitted on account of same: ITAT (See Breaking News) DTAA - Concepts like virtual PE or Significant Economic Presence, while reflecting evolving international taxation trends, cannot be judicially read into a DTAA, absent express amendment: HC (See Breaking News) DTAA - OECD materials and practices of other jurisdictions are not relevant against clear language in relevant DTAA: HC (See Breaking News) I-T - Mismatches in limbs of provisions of section 271(1)(c) renders levy of penalty invalid: ITAT (See Breaking News)
 
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TII BREAKING NEWS
 
TP - Resale price method is most appropriate for benchmarking international transaction in its distribution segment: ITAT
TP - CIT(A) ought not to have restored matter back to AO under mistaken view that it was ex-parte order: ITAT
I-T - 'Test of imparting' is touchstone if foreign entity continues to use its own industrial and commercial experience to render services, and essence of
I-T - Reimbursements of expenses made on cost to cost basis, i.e. without any markup, cannot be treated as FIS, in absence of make available
< More News >
 
FROM TII ARCHIVE Jun 23, 2010
 
Treaty Shopping After Prevost Car: What Does The Future Hold?
By Michael N Kandev

In the consultation paper, the advisory panel set out the following possible approaches to treaty shopping (paragraph 3.23):

As noted above, certain treaty benefits are afforded to "beneficial owners" who are resident in a treaty country. The CRA has challenged some structures on the basis that the person resident in the treaty country who is

 
TII EDIT Dec 23, 2025
 
Treaty-shopping: Nepal ejects Mauritius out of its cart
By D P Sengupta

ON the 10th of December, IBFD Tax News Service reported: Nepal Terminates Tax Treaty with Mauritius.

The tax treaty between Nepal and Mauritius was signed at Kathmandu on 3 rd August. 1999. There is nothing very special about this tax treaty that follows the more or less standard template of that time. As

 
BULLETIN BOARD
 
New Delhi, Nov 10, 2025
CBDT notifies protocol amending DTAA between India and Belgium...
New Delhi, Nov 06, 2025
I-T - ALP u/s 92C - CBDT notifies connotation of ‘wholesale trading’ in international ...
New Delhi, Oct 27, 2025
CBDT notifies India-Qatar DTAA & Protocol ...
New Delhi, Jul 28, 2025
Relaxation of time limit for processing of returns of income filed electronically which we...
< More News >
 
TII BRIEF
 
Paris, Dec 08, 2025
Global economy continues to remain fragile: OECD...
Paris, Nov 28, 2025
Ageing population to strain European pension systems: OECD...
Paris, Nov 28, 2025
African GDP may double if USD 155 bn pumped into infra sector: OECD...
Geneva, Nov 26, 2025
Illicit trade in tobacco results in revenue loss of over USD 47 billion: WHO ...
Paris, Nov 24, 2025
Trade grows in most G20 countries in Q3 despite uncertainty ...
 
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