15/09/2011India - Tribunal decision on taxation of income attributable to PE, and taxation of balance under India-Japan income tax
Income earned by a non-resident was taxable only to the extent of attributable to the permanent establishment PE as business income under Article 7 of the India-Japan income tax treaty. The case is: Nippon Kaiji Kyokoi
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Brookfield Global Relocation Services Global Relocation Trends Survey maintains its high ranking in the Expatica HR Awards as an industry standard for HR professionals and mobility managers.