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Case Law Details

Case Name : CIT Vs Colgate Palmolive Marketing  (Bombay High Court)
Related Assessment Year :
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CIT Vs Colgate Palmolive Marketing (Bombay High Court) Bombay High Court held that since the Assessee does not have a Permanent Establishment in India, income earned by it as business profit would not be taxable in India by virtue of the provisions of Article 7 of the India-Malaysia DTAA. Facts- The Assessee, i.e. Colgate Palmolive Marketing SDN BHD, is an entity incorporated in Malaysia and is engaged in the business of marketing, distribution and sale of household products, fabrics and personal care. Colgate Palmolive (India) Limited (CPI) entered into an Agreement with the Assessee for use ...
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