No Profit can be Attributed if Commission Paid to Ricardo India is Adjusted Against Profit Attributed to PE: Delhi HC [Read Order]
In a significant development, the Delhi High Court has delivered a crucial judgment in favor of a United Kingdom-based company, resolving a contentious tax dispute for the Assessment Year 2016-17.
In a landmark decision, the Delhi High Court has ruled that no additional profit can be attributed to the Permanent Establishment (PE) of a UK-based company operating in India when adjusting the commission paid to its domestic subsidiary, Ricardo India Pvt. Ltd. The appellant, the revenue department, sought to challenge the order dated 17.02.2021 passed…
Your free access to Taxscan has Expired
To read the article, get a premium account.
Taxscan Premium
Why should you subscribe?
Enjoy our website without interruptions from advertisements
Receive Daily newsletters
Receive realtime Telegram/Whatsapp news updates
Download original Judgements / Order / Notifications / Circulars, etc