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Mauritius-based applicant denied tax benefits under Article 13(4) of Indo-Mauritius Tax Agreement due to lack of rationale.

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Full Text of the Document

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....Income accrued in India - Having considered the facts in totality and discussed in preceding paras, we do not see any commercial or economic rationale or ease of doing business in incorporating the applicant in Mauritius and interposing it in the JV. - the applicant is not entitled to benefit under Article 13(4) of Indo-Mauritius DTAA in regard to gains arising from the transaction of sale of shares. - AAR....