The author, in this article, considers the implications of the India–Mauritius (1982) and India–Singapore (1994) Income Tax Treaties and the 2005 amending protocol to the latter tax treaty with regard to foreign direct investment in India.
The author, in this article, considers the implications of the India–Mauritius (1982) and India–Singapore (1994) Income Tax Treaties and the 2005 amending protocol to the latter tax treaty with regard to foreign direct investment in India.