Case Law Details
Case Name : Addl. CIT Vs Lenskart Solution (P) Ltd. (ITAT Delhi)
Appeal Number : ITA No. 5760/Del/2017
Date of Judgement/Order : 30/03/2022
Related Assessment Year : 2012-13
Courts :
All ITAT ITAT Delhi
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Addl. CIT Vs Lenskart Solution (P) Ltd. (ITAT Delhi)
It was claimed by the Assessee that as the Assessee had made the payment to Facebook Ireland Inc. (FII), which admittedly did not have any permanent establishment (PE) in India and, therefore, the payments made to it for advertisement services were not chargeable to tax in India in view of the Article 7 of DTAA between India and Ireland. In support of its contention the Assessee also relied upon various judgments including in the case of Please become a Premium member. If you are already a Premium member, login here to access the full content.
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