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Advance ruling on whether foreign company entitled to lower rate of CGT on sale of shares in Indian company

|Treaty Development|India-France
India-France

The Indian Authority for Advance Rulings (AAR) delivered a ruling dated 1 October 2007 (recently published), in the case of Timken France SAS (2007) 294 ITR 513 (AAR), that a foreign company was entitled to the concessional tax rate of 10% on long-term capital gains, earned on the sale/transfer (both terms used inter-changeably) of shares in an Indian company.

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