A practical analysis of the Indian Authority of Advance Rulings’ recent decision in the case of E*Trade Mauritius Ltd., regarding the availability of capital gains tax relief pursuant to Art. 13 of the India–Mauritius tax treaty.
A practical analysis of the Indian Authority of Advance Rulings’ recent decision in the case of E*Trade Mauritius Ltd., regarding the availability of capital gains tax relief pursuant to Art. 13 of the India–Mauritius tax treaty.