M/S Ge Steam Power Systems (Earlier Known as M/S. Alstom Power System Sa) v. Assistant Commissioner of Income Tax, Circle Int Tax 1 (1)(1) and Anr.
Case brief
What is this about?
Delhi High Court (Bakhru & Karia JJ, oral) allowed 16 writ petitions (W.P.(C) 4207/2022 & connected) by seven non-resident GE/former-Alstom power-group companies against Section 148 Income Tax Act, 1961 reassessment notices for AYs 2013-14 to 2017-18. Reopening rested on a Section 133A(1) survey (06-07/06/2019, GE Power India Ltd./GE T&D India Ltd.) alleging a Dependent Agent PE and Fixed Place PE in India; objections under Section 147 rejected. Court found no tangible material for the PE belief; question covered by earlier DHC decisions (Grid Solutions OY 2025:DHC:214-DB; UK Grid Solutions Ltd.; GE Hydro France/GE Grid (Switzerland) GmbH 2025:DHC:1280-DB; GE Renewables Grid LLC 2025:DHC:2911-DB); impugned notices set aside. Keywords: Section 148 notice, reassessment, escaped income, permanent establishment, dependent agent PE, fixed place PE, survey 133A(1), FTS, non-resident taxpayers.