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SINGAPORE TAX TREATY
ETMarkets Smart Talk | Why some NRIs pay zero tax on mutual fund gains in India: Sreepriya NS of Entrust Family Office explainsNRIs are increasingly viewing India as a prime long-term investment hub, attracted by its growth potential and tax efficiencies under certa...
NRI Talk| For a Rs 50 crore NRI portfolio, structure matters as much as stock selection: Tarun BiraniNRIs view India with cautious optimism, recognizing its long-term growth potential despite recent market flatness and rupee depreciation. D...
ITR filing 2026: Foreign income and overseas assets? Avoid these 7 costly disclosure mistakesReturning Indians face new tax filing complexities. Foreign retirement accounts now necessitate the more detailed ITR-2, moving away from t...
ITAT: Accrued interest component on non-convertible debentures sales is taxable as interest incomeThe ITAT has held that the accrued interest component embedded in sale proceeds from non-convertible debentures cannot automatically be tre...
India needs to remove tax friction for more FDIIndia is looking to boost foreign investment by reforming its tax system. Recent proposals aim to simplify taxes on foreign holdings. The c...
Jane Street may take Singapore route to sort out India tax rowWith the Income Tax (I-T) department questioning the tax benefits it had claimed, the Wall Street firm is understood to be working on initi...
US overtakes Mauritius to become India’s 2nd largest FDI source as inflows cross $11 billion markThe investment landscape is changing. The United States has now claimed the title of India's second-largest foreign investor, overtaking Ma...
India assured DTAA tax benefits will continue after Supreme Court ruling, Mauritius Cabinet Note saysIndia has assured Mauritius that it will uphold benefits under the Double Taxation Avoidance Agreement. This comes after a Supreme Court ru...
Income tax dept opposes benefits to Jane Street SingaporeIndia's tax office has challenged treaty benefits claimed by Jane Street's Singapore arm, suspecting ₹8000 crore in escaped income. The dep...
Cap gains of NRIs on mutual fund units can’t be taxed in India: ITATThe Mumbai ITAT ruled that an NRI from Singapore is not liable to pay tax in India on ₹1.35 crore short-term capital gains from mutual fund...
India doesn’t have first right to tax shipping income of foreign companies under India-Singapore tax treaty: ITATThe ITAT upheld that only a resident state has a sovereign right to tax shipping income. ITAT ruled that under the provisions of India-Sing...
FPIs fear retrospective tax under new rulesMLI, which is going to replace everything from April 1 is silent on grandfathering.
India notifies amended tax treaty with SingaporeThe revision of tax treaty will help curb revenue loss, prevent double non-taxation and streamline the flow of investments, a finance minis...
New treaty: Rules eased for Singapore investors
India, now onto reworking tax treaty with SingaporeSingapore accounts for 16% of India’s foreign investments, which are investments from third countries that get routed from Singapore due to...
FPIs approach government to renegotiate India-Singapore tax treatyFPIs and even the Singapore government want to avoid it, and rather want the treaty to be equated to those with some European countries.
Don't equate Singapore tax treaty with Mauritius, FPIs tell government“If the tax treaty is not renegotiated, India will assume right to tax capital gains. Tax will be levied at the full rate starting from Apr...
After Mauritius tax treaty, government looking to rework pact with SingaporeSingapore is the second-biggest source for foreign direct investments (FDI) into India after Mauritius, accounting for over 16% of cumulati...
- Singapore pushes for Mauritius-like tax treaty with India
Singapore has sought a more liberal tax regime from India on the lines of the one it has with Mauritius, as the India-Singapore trade and i...
- Singapore seeks liberal tax treaty
Singapore has put India in a bind over the proposed Double Taxation Avoidance Agreement (DTAA) between the two.