14 S.R Technics Switzerland Ltd vs. ACIT (International Taxation)
[ITA No: 6616/Mum/2018]
A.Y.: 2015-16
Date of order: 25th November, 2022
Article 5 of India-Switzerland DTAA - Liaison Office (LO) does not constitute PE as long as it is adhering to the approval conditions imposed by RBI
FACTS
Assessee, a Swiss Company was engaged in the maintenance, repair and overhaul for aircrafts, engines and components. It had a subsidiary company in Switzerland (Swiss Sub Co). Swiss Sub Co had set up a LO in India. The AO alleged that the said LO constituted the PE of the assessee in India. The assessee appealed to the DRP. The DRP upheld the order of the AO. Being aggrieved, the assessee appealed to the Tribunal.
HELD
Tribunal took note of following factual aspects: