IN THE INCOME TAX APPELLATE TRIBUNAL,
MUMBAI BENCH “L”, MUMBAI
BEFORE SHRI R.S. SYAL (AM) & SHRI AMIT SHUKLA (JM)
I.T.A. No.5178/Mum/2009
(A.Y. 2005-06)
ADIT (IT)-2(1),
R.No.116, 1st floor, Scindia House,
Ballard Estate,
Mumbai-400 038.
Appellant
Vs.
M/s. Varian Medical Systems
(
602, Pressman House, Plot
No.70A,
Mumbai-400 099.
PAN: AAACV9418J.
Respondent
Appellant by: Shri Narender Kumar.
Respondent by: Shri P.R.V. Raghavan.
Date of hearing
Date of pronouncement
O R D E R
PER R.S. SYAL, AM:
This appeal by the Revenue arises out of the order passed by the CIT(A) on
2. The only effective ground reads as under :
“On the facts and in the circumstances of the case and in law, the Ld. CIT(Appeals) erred in holding that the assessee branch is not the PE in respect of the business done out of the supplies made by foreign principal and accordingly, its business profits attributable to PE are not taxable in India.”
3. At the very outset, the ld. counsel for the assessee contended that similar action was taken by the AO for the assessment year 2003-0-4 also, which was reversed in the first appeal. He placed on record a copy of the order passed by the Tribunal on
4. In the result, the appeal is dismissed.
Order pronounced on the 02nd day of April, 2012.
Sd/- Sd/-
(AMIT SHUKLA) (R.S. SYAL)
JUDICIAL MEMBER ACCOUNTANT MEMBER
Mumbai:
NG:
Copy to:
1. Department.
2. Assessee.
3. CIT (A)-XXXI,Mumbai.
4. DIT (IT), Mumbai.
5. DR,”L” Bench, Mumbai.
6. Master file.
(TRUE COPY)
BY ORDER,
Asst. Registrar, ITAT, Mumbai.
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