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Case Law Details

Case Name : Crocs Inc. Vs ACIT (ITAT Delhi)
Related Assessment Year : 2019-20
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Crocs Inc. Vs ACIT (ITAT Delhi)

Background: Assessee,  Crocs Inc., a U.S.based company, provided administrative & support services to its Indian affiliate, Crocs India Pvt. Ltd., under a service agreement . For AY 2019–20, Crocs Inc. filed a return declaring NIL income, claiming that the service income was not taxable in India under the India-USA DTAA (Article 12). However, the AO treated the service income of ₹13.74 crore as Fee for Technical Services (FTS) u/s 9(1)(vii) & taxed it accordingly. Assessee’s objections before the DRP led to a dire

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Author Bio

CA Vijayakumar Shetty qualified in 1994 and in practice since then. Founding partner of Shetty & Co. He is a graduate from St Aloysius College, Mangalore . View Full Profile

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