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Reimbursement of expenses by foreign head office to Indian liaison office cannot be treated as supply

The Germany based head office and Indian Liaison Office (“LO”) cannot be treated as separate persons as no consideration for any services is being charged by the LO. Hence, there cannot be any flow of services between them as one cannot provide service to self and therefore, the reimbursement of expenses made by the head office cannot be treated as a consideration towards any service.

Source: a2ztaxcorp.com

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