Tuesday 24 November 2015

Mumbai ITAT denies to treat news distributor of 'Reuters' as its PE in India

IT/ILT : Where assessee, a UK based company, engaged in business of providing news and financial information world-wide, entered into distribution agreement with RIPL in India, since RIPL was not habitually exercising its authority to negotiate and to conclude contracts on behalf of assessee, it could be concluded that assessee did not have PE in India and, consequently, distribution fee received by it could not be brought to tax in India

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