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    <title>2017 (5) TMI 580 - ITAT MUMBAI</title>
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    <description>The Tribunal ruled in favor of the assessee, a non-resident company, in a tax dispute regarding the treatment of reimbursement of expenses as income and the taxability of fees for technical services on a gross basis. The Tribunal held that the reimbursement of expenses received from the client should not be considered part of the fees for technical services and therefore should not be taxed as income. The Tribunal emphasized the clear separation in the agreement between fees for technical services and third-party costs, leading to the deletion of the additions made by the Assessing Officer for both assessment years.</description>
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      <title>2017 (5) TMI 580 - ITAT MUMBAI</title>
      <link>https://www.taxtmi.com/caselaws?id=342842</link>
      <description>The Tribunal ruled in favor of the assessee, a non-resident company, in a tax dispute regarding the treatment of reimbursement of expenses as income and the taxability of fees for technical services on a gross basis. The Tribunal held that the reimbursement of expenses received from the client should not be considered part of the fees for technical services and therefore should not be taxed as income. The Tribunal emphasized the clear separation in the agreement between fees for technical services and third-party costs, leading to the deletion of the additions made by the Assessing Officer for both assessment years.</description>
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