PropertyValue
http://www.w3.org/1999/02/22-rdf-syntax-ns#type
http://www.w3.org/ns/prov#value
  • Thus, in the view of the fact that there was a DTAA between India & Switzerland and India & Russia, the amount remitted by assessee towards advertisement could be assessed as business profits as per section 9, but having regards to fact that non-resident advertising company had no PE in India, amount in question could not be brought to tax in India.
http://www.w3.org/ns/prov#wasQuotedFrom
  • aiftponline.org