VATupdate
VAT

Share this post on

Marketing and handholding services to consultant manager in US constitutes ‘intermediary services’

The fact of the matter is that the Applicant is providing the intermediary service in the name of marketing service. The consideration for the services rendered by the Applicant will be paid upon successful investment/ repatriation by the investor. The Applicant does not provide any services on his own but is acting as an intermediary.

Source: A2ZTaxCorp

Sponsors:

VAT news

Advertisements: