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Benefit of tax credit under Article 23 of Indo-Thai DTAA extended only when tax actually paid

Delhi High Court held that Tax Credit could not be extended to the assessee, because it had not paid tax in Thailand, i.e., that benefit under Article 23 of the Indo-Thai DTAA could only be extended in a situation where the tax had actually been paid.

The post Benefit of tax credit under Article 23 of Indo-Thai DTAA extended only when tax actually paid appeared first on TaxGuru.



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Benefit of tax credit under Article 23 of Indo-Thai DTAA extended only when tax actually paid

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