Ernst and Young LLP v. Assistant Commissioner of Income Tax, Circle International TAX-1-2-2, New Delhi
Case brief
What is this about?
Search terms: Ernst and Young LLP; Assistant Commissioner of Income Tax, Circle International Tax-1-2-2, New Delhi; W.P.(C) 2266/2026; CM APPL. 10946/2026; Article 226 Constitution of India; Section 195 Income Tax Act 1961; certificate of 'Nil' rate vs 5.25%; certificate dated 28.01.2026; order dated 16.01.2026; earlier order 14.01.2026 reg. no. 16158/2025 same assessment year; virtual Permanent Establishment (PE); Commissioner of Income Tax, International Taxation-1, New Delhi v. Clifford Chance Pte. Ltd, (2025:DHC:10838-DB); SLP before Supreme Court; amended/rectified certificate within seven days; future applications certificate within 30 days; PE-in-India finding exception with prior notice; full disclosure and cooperation by petitioner; FY 2025-26 / AY 2026-27; High Court of Delhi; Dinesh Mehta J. (oral) and Vinod Kumar J.; decision date 17 February 2026.
What did the court decide?
Existing Section 195 certificate dated 28.01.2026 to be treated as 'Nil' rate instead of 5.25%; amended/rectified 'Nil' rate certificate to be issued within seven days of production of the order; future 'Nil' rate certificates for FY 2025-26 (AY 2026-27) and subsequent years to issue within 30 days of application, subject to the exception that the authority may depart from this if it records, after notice to the petitioner, a finding of PE in India and taxability of the transactions; petitioner bound to full disclosure and cooperation; respondent warned but otherwise no punitive action taken.