PR COMMR OF INCOME TAX-2, HYDERABAD vs. K RAVINDER REDDY, HYDERABAD
ITTA/621/2017HC Telangana23 Aug 2018
Bench: RAMESH RANGANATHAN,KONGARA VIJAYA LAKSHMI
Section 260A
reassessment
proceedings. The assessees resisted the move to assess them, contending
that they were not subjected to income tax laws of India as they had no
permanent establishment. The AO by order dated 31.12.2008 held that the
appellant has a fixed place PE and DAPE in India. Further, the AO also
deemed 10% of the value of supplies made