Surana clarifies: “In accordance Together with the proposed mechanism i.e. clause 72(6) of the new Profits Tax Bill 2025, the price of acquisition, sale thought, and transfer-related expenditures are very first converted to the exact same overseas forex that was at first utilised to the acquisition on the unlisted shares https://legaladvisoryfornris95564.blogdomago.com/34265555/5-essential-elements-for-nri-property-sale