No PE in India, Offshore Supply of Telecom Commodities Contracts Not Taxable : Delhi HC Rules in Nokia’s Tax Matter [Read Order]

The Delhi HC ruled that Nokia’s offshore supply contracts are not taxable in India, and interest on delayed payments cannot be deemed as taxable income
No PE in India - Offshore Supply of Telecom Commodities - Offshore Supply - Telecom Commodities Contracts - Delhi HC - Delhi HC Rules - taxscan

The Delhi High Court in a recent ruling has held that Nokia Network OY (now Nokia Corporation) does not have a Permanent Establishment (PE) in India, thereby exempting its offshore supply transactions from taxation under Indian law. The case involved multiple Income Tax Appeals challenging the taxability of Nokia’s operations in India. The Revenue argued…

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