{"id":3111,"date":"2020-06-05T00:03:14","date_gmt":"2020-06-04T18:33:14","guid":{"rendered":"https:\/\/r-arora.com\/?p=3111"},"modified":"2023-03-17T01:15:02","modified_gmt":"2023-03-16T19:45:02","slug":"are-you-creating-a-dependent-pe-taxable-in-india-by-appointing-a-sales-agent-in-india","status":"publish","type":"post","link":"https:\/\/r-arora.com\/are-you-creating-a-dependent-pe-taxable-in-india-by-appointing-a-sales-agent-in-india\/","title":{"rendered":"Are you creating a Dependent PE taxable in India by appointing a sales agent in India?"},"content":{"rendered":"
\n

A foreign entity in Japan is appointing an sales agent in India to market and sell their products. They are not setting up an Indian entity, not hiring an employee in India but only appointing a full time agent in India. Can such a person be construed as a permanent establishment (PE) for the Japanese entity in India? The answer is YES !<\/p>\n

In this article we have discussed provisions applicable to such agents including:<\/p>\n