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Oct

1

MAURITIUS Tax Treaty Benifit Allowed for Buy-Back of Shares

Buy-back of shares will not lead to capital gains tax impost on Armstrong Mauritius, says a ruling of the Authority for Advance Rulings (AAR). Armstrong Mauritius, a company incorporated in Mauritius, had approached AAR to seek a determination on the tax implications of a buy-back programme to be undertaken by Armstrong India. Armstrong India is

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