This Tax Alert summarizes a ruling of the Delhi High Court (HC) in a batch of cases, with the lead case being that of Copal Research Limited, Mauritius (Taxpayer) on the issue of taxability of direct/ indirect transfer of shares in certain Indian companies. In a series of transactions, shares of India and US entities were transferred by Mauritius companies. The Taxpayer had approached the Authority for Advance Rulings (AAR) which ruled, among other things, that the transaction would not be taxable in India. Against this ruling, the Tax Authority filed a writ petition in HC whereby, HC was required to evaluate implications under the Indirect Transfer Provision (ITP) of the Indian Tax Laws (ITL). ITP taxes sale of shares of an overseas entity if the same derives “substantial” value from underlying assets in India. The HC ruled that the requirement of “substantial value” for ITP is met if the underlying value of Indian assets exceeds 50% of the total value of the overseas entity. Where however, if the underlying value is less than 50% then, there shall be no tax liability. Further, having regard to the facts of the case, the HC held that the corporate veil of the Mauritius companies cannot be pierced for the reason that such entities had independent corporate personality, and business purpose, and was not a device for avoiding Indian tax.
Subscribe to:
Post Comments (Atom)
5 GST Judgments in 2026 Every Business Should Be Watching
The year 2026 has already delivered several landmark GST decisions that could significantly influence tax compliance, assessments, and litig...
-
A new website launched for TDS related matters www.tdscpc.gov.in TRACES – T DS R econciliation A nalysis and C orrection E nabling S yste...
-
THE issues before the Bench are - Whether when an expenditure is claimed to have been incurred by an assessee for promotion of his busine...
-
The posting had been move to another website. Please click the link below to get the access of the same. https://taxofindia.wordpress....
-
The Reserve Bank of India has introduced a new framework governing export and import transactions under FEMA. These regulations are effectiv...
-
THE issues before the Bench are - Whether no penalty u/s 271(1)(c) is warranted even if assessee makes false claim of Sec 80IA benefits ...
-
What is a Digital Signature? Answer: A digital signature authenticates electronic documents in a similar manner a handwritten signatur...
-
This Tax Alert summarizes a recent judgement of the Supreme Court (SC) [1] on whether a show cause notice (SCN) under Section 74 of the ...
-
This Tax Alert summarizes a recent ruling of the Gujarat High Court (HC)1 on the taxability of corporate guarantee provided by the Petitio...
-
The overall effective tax rate of a U.S. multinational corporation may have significant impact on the value of its stock. Therefore, it ...
-
This Tax Alert summarizes a recent ruling of the Delhi High Court (HC) [1] on whether the newly introduced pre-deposit requirement for fi...
No comments:
Post a Comment