S. 9(1)(i) : Income deemed to accrue or arise in India-Business connection-Foreign company-Making supplies from outside India-No income has accrued to it in India-Supervision of installation and had received supervision fee separately which is offered to tax in India-No permanent Establishment in India-Income from supplies not taxable in India-DTAA-India-Japan. [Art. 5, 12(2)]
Sumitomo Corporation v. DCIT (IT) (2021) 213 TTJ 137 (Delhi)(Trib.)