Mutual Agreement Procedure invoked to consider Nokia India's assessed tax demands, clarifying no fresh notice was issued. No fresh income-tax notice was issued to Nokia India; an assessment order for AY2010-11 passed in August 2015 raised a demand based on earlier issues, and that demand, along with prior demands, is being considered under the Mutual Agreement Procedure of the India-Finland tax treaty by the Competent Authorities.
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Mutual Agreement Procedure invoked to consider Nokia India's assessed tax demands, clarifying no fresh notice was issued.
No fresh income-tax notice was issued to Nokia India; an assessment order for AY2010-11 passed in August 2015 raised a demand based on earlier issues, and that demand, along with prior demands, is being considered under the Mutual Agreement Procedure of the India-Finland tax treaty by the Competent Authorities.
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