Indian High Court Rules that Commission Payments to a Non-Resident Not Considered Fees for Technical Services

The High Court of Delhi has recently ruled on whether or not commission payments paid by an Indian company to a company established in Liechtenstein that procured export orders should be considered fees for technical services (FTS) subject to withholding tax.
A claim by the Indian tax authorities that the payments were FTS subject to withholding tax was initially appealed by the taxpayer to t…
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