appellant in Criminal Appeal No.325 of 2012) and Umesh Kumar Singh (UK
Singh), Ex-Radio Operator (Special), First Class (appellant in Criminal
Appeals ... civil police. After further
investigation, civil police arrested appellants AK Singh and UK Singh on
30.07.1998. Appellant DK Singh was arrested at Howrah Railway Station
totally out of
context............."
11. Considerable reliance was placed on Astrazeneca UK Ltd. and Anr.
v. Orchid Chemicals and Pharmceuticals ... Appellate Board.
13. The above ruling of the Single Judge, in Astrazeneca UK Ltd. (supra)
was affirmed by the Division Bench in Astrazeneca UK
Global Services (Uk) Ltd., Mumbai vs Adit (It) 2(2), Mumbai on 18 November, 2016
IN THE INCOME TAX APPELLATE TRIBUNAL
MUMBAI BENCHES ... 6411/Mum/2012 - A.Y. 2009-10
M/s WNS Global Services(UK) Ltd. vs ADIT(IT)-2(2)
C/o. WNS Global Services
minor children to the
jurisdiction of High Court of Justice Family Division, UK, in
compliance with the order dated 29.02.2016 passed by the
3
High ... Court of Justice Family Division, UK, to enable the
minor children to go back to UK, upon her failure to do so,
the respondent
case are that the assessee is a
subsidiary of Steria UK Corporate Ltd., UK, an I.T. service company in
the United Kingdom. The assessee ... assessee is engaged in providing
Software development services to Steria UK both offshore software
development services rendered in India and onsite software development
rendered
World-143rd Edition (Vol.III) and "Benn‟s Media" UK-143rd Edition (Vol.I)
listing the newspaper titles with the mark „Financial ... which are already being used in other countries; instances of
New Statesman, UK and Statesman, India, Tribune, UK and The Tribune,
India, The Daily Telegraph
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Hallin Marine Uk Ltd., Dehradun vs Adit, Dehradun on 20 January, 2016
IN THE INCOME TAX APPELLATE TRIBUNAL
DELHI BENCH: 'C': NEW DELHI ... 5217/Del/2012
Assessment Year: 2009-10
M/s. Hallin Marine UK Ltd., Vs. ADIT, Intl. Taxation, Dehradun
C/o Nangia & Company, Suite
outside India as royalty in accordance with Article
13.3 (b) of Indo UK DTAA. Regarding the reimbursement it was claimed that same is non-
taxable ... India in terms of article 5(1) of the INDO UK
DTAA.
ii. Appellant does not have a service PE in terms of article
brief background of the facts is necessary. FOWC is a UK tax resident company
incorporated on 7 March 2001. Consequent to agreements entered into between ... Avoidance of Double taxation agreement entered into between the
Government of UK and the Republic of India ("the DTAA") and secondly whether
FOWC