International Taxation : Matter remanded to DRP to decide issue of existence of permanent establishment and consequent profit attribution thereto when DRP passed order under presumption that assessee has conceded aspect of existence of its permanent establishment in India but assessee denies said fact and DRP has not at all given any finding on existence of permanent establishment of assessee in India
from www.taxmann.com Latest Case Laws https://www.taxmann.com/topstories/101010000000190301/itat-remands-matter-to-drp-to-decide-the-issue-of-existence-of-lg’s-pe-in-india-on-basis-of-concurrent-findings.aspx
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