India’s Income Tax Appellate Tribunal delivered a significant decision in the case of Nokia Networks OY on the issue of whether it’s Indian subsidiary, Nokia India Private Limited constituted a permanent establishment for the taxpayer.
International Tax, Transfer Pricing News
India’s Income Tax Appellate Tribunal delivered a significant decision in the case of Nokia Networks OY on the issue of whether it’s Indian subsidiary, Nokia India Private Limited constituted a permanent establishment for the taxpayer.