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2007 (1) TMI 640 - AAR - Income Tax

Issues involved: The issues involved in this judgment are the eligibility of the applicant to avail benefits under a treaty, determination of permanent establishment in India, and taxability of business income in India.

Eligibility to Avail Treaty Benefits:
The applicant sought relief to direct the Assessing Officer to examine if the income is subject to tax in the USA and extend treaty benefits. The Authority ruled that the applicant was not a resident of the USA under the Double Taxation Avoidance Agreement, thus unable to avail treaty benefits. The presence of a permanent establishment in India was not determined due to the applicant's non-resident status.

Taxability of Business Income:
The applicant provided material showing most beneficiaries were subject to tax in the USA. The Commissioner noted a certificate of tax liability was for Australia, not India. The applicant argued the varying tax status of beneficiaries should be considered annually by the assessing authority. However, the Authority clarified that the ruling is binding unless there is a change in law or facts, and additional evidence cannot be admitted for review.

Maintainability of Petition:
The applicant invoked Rules 5 and 19 of the Authority for Advance Rulings (Procedure) Rules, seeking a clarification. The Authority explained that Rule 5 must be exercised before ruling pronouncement, and Rule 19 allows amendment before the ruling is given effect by the Assessing Officer. As the petition was filed post-ruling, it was deemed not maintainable under these rules.

Conclusion:
The petition was dismissed as not maintainable, emphasizing the binding nature of advance rulings unless there is a change in law or facts. The Authority clarified that additional evidence cannot be admitted post-ruling, and any discrepancies should be addressed through the appropriate legal channels.

 

 

 

 

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