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Hyatt a 'permanent establishment' under DTAA; must pay tax in India: Supreme Court
The Court held that India can tax the local arm of a foreign company if it functions as a permanent establishment regardless of the parent company’s global financials.
The Supreme Court on Thursday held that a foreign company with significant operational control through local subsidiaries in India constitutes a Permanent Establishment (PE) making its income taxable in India even while globally incurring losses. [Hyatt International Southwest Asia Ltd. vs. Additional Director of Income Tax]