Treaty between Australia and India – No PE in Australia for supply chain activities
On 13 July 2007, The Australian Taxation Office (ATO) released Interpretative Decision ATO ID 2007/143, which deals with supply chain activities of an Indian resident in Australia and whether such activities amount to a permanent establishment in Australia. By way of background, interpretative decisions are explanations provided by the ATO, which, however, are not binding on the ATO…
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