I am an Indian citizen who lived and worked in the US from Apr-2021 to 6-Feb-2026. I returned to India on 6-Feb-2026 and my residential status for FY 2025-26 remains Non-Resident (NRI) based on the number of days stayed in India.
After returning, I started working as a freelance software consultant / sole proprietor for a US client. I provide software development/technical consultancy services remotely from India, work from my residence, have no employees or separate commercial office, and receive payment in USD. I am GST registered and export services under LUT. The professional income is being offered to tax in India through ITR-3.
While filing ITR-3 for AY 2026-27, Part A-General asks:
"In case of non-resident, is there a permanent establishment (PE) in India?"
Should I select Yes or No?
Section 92F defines PE to include a fixed place of business through which business is wholly or partly carried on. However, the India-US DTAA also uses the concept of a "fixed base" for independent professional services.
Does working as an NRI sole proprietor/freelancer from my home in India constitute a PE for this specific ITR-3 disclosure? Or is this question mainly intended for foreign enterprises/non-residents operating in India through a branch, office, agent, etc.?
TaxTMI