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Has the AAAR fixed the ‘fixed establishment’ under GST?

Whether maintenance & repair contract services (MARC) provided by an Indian branch office of a foreign company to an Indian Company would attract forward charge in the hands of the branch (or) RCM in the hands of recipient Indian Company?

Whether the branch of the foreign company in India, which would execute MARC for 17 years, would constitute ‘fixed establishment’ for the purpose of payment of GST?

Source Taxguru

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