15 March 2013
The Madras High Court in CIT v. Venugopala Reddiar [1965] 58 ITR 439 observed that while computing taxable income, no distinction should be made between a house property situated in India and a house property situated abroad.
In veiw of above you would get all benefits u/s 24.
Income tax allow deduction for municipal tax paid to any authority outside India. It means there is no restriction for HL deduction for a property situated outside India.