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2016 (5) TMI 849 - AT - Income TaxExistence of PE in India - Held that:- Respectfully following the order in assessee’s own case for the assessment year 2008-09, the issue agitated is decided against the assessee by holding that the services PE of the assessee is established in India. Charging of interest u/s 234B is decided in favour of the assessee and for the remaining issue relating to charging of interest u/s 234A, 234C and 234D of the Act, we hold that it is consequential in nature.
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