Alternative statutory remedy and unexplained delay barred writ review of customs confiscation adjudication, leaving merits for appellate consideration...
Authorised courier due diligence protects against penalties where declared exports conceal prohibited goods despite proper documentation and customs p...
Customs-controlled container movement now extends to DP World facilities, subject to segregation, inspections, reconciliation, and EXIM cargo priority...
The ITAT held that the assessee, a Luxembourg company, is entitled to India-Luxembourg tax treaty benefits. Despite being a subsidiary of Cayman Islands entities, the assessee proved its commercial substance in Luxembourg through valid tax residency certificate, filing tax returns, incurring operational expenses, and making investments beyond India. The revenue failed to establish the assessee was a mere conduit. Applying the Principal Purpose Test under MLI, obtaining treaty benefits cannot be considered the principal purpose when the assessee demonstrated economic activities and standalone existence. The ITAT directed granting treaty benefits to the assessee.
The ITAT held that the assessee, a Luxembourg company, is entitled to India-Luxembourg tax treaty benefits. Despite being a subsidiary of Cayman Islands entities, the assessee proved its commercial substance in Luxembourg through valid tax residency certificate, filing tax returns, incurring operational expenses, and making investments beyond India. The revenue failed to establish the assessee was a mere conduit. Applying the Principal Purpose Test under MLI, obtaining treaty benefits cannot be considered the principal purpose when the assessee demonstrated economic activities and standalone existence. The ITAT directed granting treaty benefits to the assessee.
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