TEC does not have a permanent establishment in India in terms of ...
No permanent establishment in India for US entity; No tax withholding required on payments.
December 20, 2024
Case Laws Income Tax AT
TEC does not have a permanent establishment in India in terms of Article 5(2)(k) of the India-USA Tax Treaty. The assessee did not have an obligation to withhold taxes at source on payments made to TEC, USA. Assessee's appeal allowed.
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