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2023 DIGILAW 2772 (DEL)

Commissioner of Income Tax (international Taxation)-3 v. Sheraton International Llc

2023-05-08

GIRISH KATHPALIA, RAJIV SHAKDHER

body2023
JUDGMENT Rajiv Shakdher, J. (Oral) CM APPL. 23184/2023 [Application filed on behalf of the appellant seeking condonation of delay of 300 days in re-filing the appeal] 1. This is an application moved on behalf of the appellant/revenue seeking condonation of delay in re-filing the appeal. 2. According to the appellant/revenue, there is a delay of 300 days. 3. Mr Divyanshu Agrawal, who appears on behalf of the respondent/assessee, says that he does not oppose the prayer made in the application. 4. Accordingly, the delay is condoned. 5. The application is disposed of, in the aforesaid terms. ITA 265/2023 6. This writ petition concerns Assessment Year (AY) 2012-13. 7. The appellant/revenue seeks to assail the Income Tax Appellate order dated 17.10.2019. 8. The only issue which arises for consideration in the present matter is whether the fee received by the respondent/assessee on account of "centralized services" rendered to its Indian customers was taxable as Fee for Technical Services(FTS) and/or Fee for Included Services(FIS) under the Indo-US-DTAA. 9. We are informed by the counsel for the parties that this very issue came up for consideration in the respondent/assessee's case in AY 2015-16 before the coordinate bench of this court in ITA No. 434/2022 and 435/2022. 9.1 The counsel says that the said appeals were dismissed by the coordinate bench via order dated 04.11.2022. 10. In these circumstances, no substantial question of law arises for our consideration. 11. The appeal is accordingly closed. 12. Parties will act, based on the digitally signed copies of the order.