This protection against double jeopardy is further reinforced by the
statutory provisions, including Section 300 of Cr.P.C., Section 40 of the
Evidence ... continuation of the
trial against the appellant. Accordingly, the principle of double jeopardy
under Article 20 (2) of the Constitution of India and Section
read along with Article 12 of the Double Taxation Avoidance
Agreement3 between India and Singapore. According to the
appellants, the receipts become taxable under
KAMLESH KUMAR
Signing Date:28.08.2024
19:21:23
benefits of the Double Tax Avoidance Agreement3 between India
and Mauritius in respect of the sale ... company with
Indian subsidiaries. The Company expects to obtain benefits under
the double taxation treaty between Mauritius and India and
between Mauritius and Singapore.
Under
read along with Article 12 of the Double Taxation Avoidance
Agreement3 between India and Singapore. According to the
appellants, the receipts become taxable under
read along with Article 12 of the Double Taxation Avoidance
Agreement3 between India and Singapore. According to the
appellants, the receipts become taxable under
read along with Article 12 of the Double Taxation Avoidance
Agreement3 between India and Singapore. According to the
appellants, the receipts become taxable under
read along with Article 12 of the Double Taxation Avoidance
Agreement3 between India and Singapore. According to the
appellants, the receipts become taxable under
read along with Article 12 of the Double Taxation Avoidance
Agreement3 between India and Singapore. According to the
appellants, the receipts become taxable under
read along with Article 12 of the Double Taxation Avoidance
Agreement3 between India and Singapore. According to the
appellants, the receipts become taxable under
read along with Article 12 of the Double Taxation Avoidance
Agreement3 between India and Singapore. According to the
appellants, the receipts become taxable under