FOREIGN COLLABORATION AND DOUBLE TAXATION RELIEF

Size: px
Start display at page:

Download "FOREIGN COLLABORATION AND DOUBLE TAXATION RELIEF"

Transcription

1 FOREIGN COLLABORATION AND DOUBLE TAXATION RELIEF STRUCTURE OF THE CHAPTER UNIT Introduction 7.2 Agreement with foreign countries or specified territories [Sec. 90] 7.3 Adoption by Central Government of agreement between specified associations for double taxation relief [Sec. 90A] 7.4 Countries with which no agreement exists [Sec. 91] 7.5 Summary 7.1 INTRODUCTION This lesson discusses the tax concepts related to double taxation. To save a person from double taxation, provisions of section 90, 90A and 91 of Income-tax Act are applicable. of a person generally becomes liable to tax in two countries, the country in which income is earned and the country in which the person is resident. Double taxation of such income is avoided by providing some relief to the tax-payer in the following forms: 1. Double Taxation Avoidance agreements (DTAAs/ ADTs) 2. Unilateral Relief 7.2 AGREEMENT WITH FOREIGN COUNTRIES OR SPECIFIED TERRITORIES [SEC. 90] The Central Government may enter into an agreement with the Government of any country outside India (or specified territory outside India) and may, by notification in the Official Gazette, make such provisions as may be necessary for implementing the agreement a. for the granting of relief in respect of i. income on which have been paid both income-tax under this Act and income-tax in that country (or specified territory), as the case may be; or ii. income-tax chargeable under this Act and under the corresponding law in force in that country (or specified territory), as the case may be, to promote mutual economic relations, trade and investment; or b. for the avoidance of double taxation of income under this Act and under the corresponding law in force in that country (or specified territory), as the case may be; or c. for exchange of information for the prevention of evasion or avoidance of income-tax chargeable under this Act or under the corresponding law in force in that country (or specified territory), as the case may be, or investigation of cases of such evasion or avoidance; or d. for recovery of income-tax under this Act and under the corresponding law in force in that country (or specified territory), as the case may be. 150

2 Applicability of the provisions Where the Central Government has entered into an agreement with the Government of any country outside India (or specified territory outside India), as the case may be, for granting relief of tax (or avoidance of double taxation), then, in relation to the assessee to whom such agreement applies, the provisions of this Act shall apply to the extent they are more beneficial to that assessee. Further, the provisions of this section shall apply to the assessee even if such provisions are not beneficial to him. Notes 1. An assessee, not being a resident, to whom the agreement under section 90 applies, shall not be entitled to claim any relief under such agreement unless a certificate of his being a resident in any country outside India (or specified territory outside India), as the case may be, is obtained by him from the Government of that country (or specified territory). 2. It is to be noted that charge of tax in respect of a foreign company at a rate higher than the rate at which a domestic company is chargeable, shall not be regarded as less favorable charge (or levy of tax in respect of such foreign company). 3. The Central Government has notified the following areas outside India as the 'specified territory' for the purposes of section 90 a. Bermuda a British Overseas Territory b. British Virgin Islands a British Overseas Territory c. Cayman Islands a British Overseas Territory d. Gibraltar a British Overseas Territory e. Guernsey a British Crown Dependency f. Isle of Man a British Crown Dependency g. Jersey a British Crown Dependency h. Netherlands Antilles an Autonomous Part of the Kingdom of Netherlands i. Macau a Special Administrative Region of The People's Republic of China j. Hong Kong a Special Administrative Region of the People's Republic of China k. Sint Maarten a part of Kingdom of Netherlands. Relevant Rulings on Section In case of conflict between Income-tax Act and provisions of DTAA, provisions of DTAA would prevail over provisions of Income-tax Act. 2. For claiming exemption under DTAA it is not necessary that assessee should produce proof of payment of tax. 3. Section 90 provides relief from double taxation where income of assessee is chargeable under Income-tax Act as well as in corresponding law in force in foreign country; therefore, assessee would be entitled to take credit of Income-tax paid in a foreign country even in relation to income which is exempt under section 10A. 151

3 Some common methods of granting relief under such section Exemption Method Under this method, a particular income is taxed in one country and exempt in another country. 2. Tax Credit Method Under this method an income is taxable in both the countries in accordance with their respective tax laws read with such agreements. The home country (where the assessee is resident) permits deduction of taxes paid by residents in host country from the tax due on worldwide income in the home country. The objective is to reduce tax on foreign source income to the extent that income has already been taxed in the foreign jurisdiction. Under the tax credit system, the tax payer pays the higher of the two taxes. 3. Deduction System Under this system, foreign tax is allowed as a deduction from profits liable to tax in the home country. This system differs from the tax credit method in the sense that foreign tax is deducted from tax base under this system whereas it is credited against the tax liability under the tax credit method. Above methods are explained below with the help of an example Earnings abroad Rs. 100, tax rate in host country is 40% and tax rate in home country is 60%. No Relief Exemption Tax Credit Deduction (Rs.) Method (Rs.) Method (Rs.) Method (Rs.) Income (a) Tax paid in host country (40%) (b) Tax paid in home country [60%(a-b)] (60%) Total tax paid by the assessee (c) Remaining income with the assessee (a) (c) ADOPTION BY CENTRAL GOVERNMENT OF AGREEMENT BETWEEN SPECIFIED ASSOCIATIONS FOR DOUBLE TAXATION RELIEF [SEC. 90A] Any specified association in India may enter into an agreement with any specified association in the specified territory outside India and the Central Government may, by notification in the Official Gazette, make such provisions as may be necessary for adopting and implementing such agreement a. for the granting of relief in respect of i. income on which have been paid both income-tax under this Act and income-tax in any specified territory outside India; or 152

4 ii. income-tax chargeable under this Act and under the corresponding law in force in that specified territory outside India to promote mutual economic relations, trade and investment; or b. for the avoidance of double taxation of income under this Act and under the corresponding law in force in that specified territory outside India; or c. for exchange of information for the prevention of evasion or avoidance of income-tax chargeable under this Act or under the corresponding law in force in that specified territory outside India, or investigation of cases of such evasion or avoidance; or d. for recovery of income-tax under this Act and under the corresponding law in force in that specified territory outside India. Applicability of the provisions Where a specified association in India has entered into an agreement with a specified association of any specified territory outside India and such agreement has been notified for granting relief of tax, or as the case may be, avoidance of double taxation, then, in relation to the assessee to whom such agreement applies, the provisions of this Act shall apply to the extent they are more beneficial to that assessee. Further, the above provisions shall apply to the assessee even if such provisions are not beneficial to him. Notes 1. An assessee, not being a resident, to whom the agreement under section 90A applies, shall not be entitled to claim any relief under such agreement unless a certificate of his being a resident in any specified territory outside India, is obtained by him from the Government of that specified territory. 2. It is to be noted that the charge of tax in respect of a company incorporated in the specified territory outside India at a rate higher than the rate at which a domestic company is chargeable, shall not be regarded as less favourable charge or levy of tax in respect of such company. 3. "specified association" means any institution, association or body, whether incorporated or not, functioning under any law for the time being in force in India or the laws of the specified territory outside India and which may be notified as such by the Central Government for the purposes of this section. 7.4 COUNTRIES WITH WHICH NO AGREEMENT EXISTS [SEC. 91] The relief under section 91 is granted to an assessee who fulfills all the following conditions 1. The assessee is resident in India in any previous year. 2. His income is accrued (or arose) during that previous year outside India (and which is not deemed to accrue or arise in India). 3. He has paid tax in that country where the income accrued (or arose). 153

5 4. There is no agreement with than country under section 90 for the relief or avoidance of double taxation. Amount of relief Under section 91, the assessee is entitled to the deduction from the Indian income-tax payable by him of a sum calculated on such doubly taxed income at the Indian rate of tax or the rate of tax of the said country, whichever is the lower. Notes 1. "Indian rate of tax" means the rate determined by dividing the amount of Indian incometax after deduction of any relief due under the provisions of this Act but before deduction of any relief due under section 90, 90A and 91, by the total income. 2. "Rate of tax of the said country" means income-tax and super-tax actually paid in the said country in accordance with the corresponding laws in force in the said country after deduction of all relief due, but before deduction of any relief due in the said country in respect of double taxation, divided by the whole amount of the income as assessed in the said country. 3. Double taxation relief is allowable on foreign income included in the net taxable income or net taxable income, whichever is less. In other words, it can be said that relief cannot be granted on the amount exceeding net taxable income. 4. Relief under section 91(1) is to be calculated on country-wise basis and not on basis of aggregation or amalgamation of income of all foreign countries. Therefore, an assessee is entitled to double income-tax relief under section 91 in respect of income from one country without adjusting losses from another country. Steps for calculating unilateral relief under section 91 Step 1: Compute the of an assessee including foreign income. Step 2: Compute the net tax liability (including surcharge and cess) of the assessee as per the Income Tax Act, 1961 Step 3: Compute the Indian Rate of Tax (IRT) as well as Foreign Rate of Tax (FRT): IRT = FRT = Income tax calculated in step (2) Net Taxable Income of step (1) Income tax paid in foreign country Step 4: Relief under section 91 = Double Taxed Income* Lower of IRT and FRT Step 5: Computation of net tax liability of the assessee in India: XX 154

6 minus Relief under section 91 in step (4) Net tax liability of the assessee in India XX XXX Case 1 A resident individual has derived the following income during the previous year : Income from profession 4,94,000 Share of profit from a partnership firm in Singapore 50,000 (Tax paid in Singapore for his income in equivalent Rupees is Rs. 10,000) Interest from bank deposits in India 28,000 He wants to know whether he is eligible for any double tax relief and if so, its quantum. He also wants to know his final tax liability. India does not have any double taxation avoidance agreement with Singapore. In the present case, the assessee satisfies all the given below conditions of section 91 and thus, entitled for relief under section The assessee is resident in India in any previous year. 2. His income is accrued (or arose) during that previous year outside India (and which is not deemed to accrue or arise in India). 3. He has paid tax in that country where the income accrued (or arose). 4. There is no agreement with than country under section 90 for the relief or avoidance of double taxation. Step 1: Computation of Net Taxable Income of the individual for the assessment year : Business Income 4,94,000 Income from other sources (Interest on bank deposits) 28,000 Indian Income 5,22,000 Add: 50,000 5,72,000 Less: Deductions under chapter VIA 5,72,000 Step 2: Tax on NTI of Rs. 5,72,000 of the individual for the assessment year : [Rs. 25, % (Rs. 5,72,000 - Rs. 5,00,000)] 39,400 Total 39,400 Add: 2% 788 1% 394 Net tax liability (Rounded off) 40,580 Step 3: Indian Rate of Tax (IRT) = Net Taxable Income of step (1) 40,580/5,72,000 = 7.09% 155

7 Foreign Rate of Tax (FRT) = 10,000/50,000 = 20% Step 4: Relief under section 91 = Rs. 50,000 * 7.09% = Rs. 3,545 Step 5: Net tax to be paid in India by the individual in the assessment year = Rs. 40,580 Rs. 3,545 = Rs. 37,040 (Rounded off) Note It is assumed that interest income from bank is earned from fixed deposits. Case 2 Mr. D is a musician deriving income from concerts performed outside India of Rs. 2,50,000. Tax of Rs. 50,000 was deducted at source in the country where the concerts were held. India does not have any DTAA with that country. Assuming that the Indian income of D is Rs. 5,00,000, what is the amount of tax payable by him in India for the assessment year ? Step 1: Computation of Net Taxable Income of Mr. D for the assessment year : Indian Income 5,00,000 Add: 2,50,000 7,50,000 Less: Deductions under chapter VIA 7,50,000 Step 2: Tax on NTI of Rs. 7,50,000 of Mr. D for the assessment year : [Rs. 25, % (Rs. 7,50,000 Rs. 5,00,000)] 75,000 Total 75,000 Add: 3% 2,250 Net tax liability 77,250 Step 3: Indian Rate of Tax (IRT) = Foreign Rate of Tax (FRT) = Net Taxable Income of step (1) 77,250/7,50,000 = 10.30% 50,000/2,50,000 = 20% Step 4: Relief under section 91 = Rs. 2,50,000 * 10.30% = Rs. 25,750 Step 5: Net tax to be paid in India by Mr. D in the assessment year = Rs. 77,250 Rs. 25,750 = Rs. 51,

8 Case 3 Professor K, an individual and citizen of India, earned the following remuneration during the previous year : Salary from Delhi university for 8 months 4,00,000 Salary from U.S. University 4,00,000 He went to U.S. on leave without pay for four months during the previous year. He returned to India on and brought with him Rs. 3,00,000 in convertible foreign exchange. The foreign university deducted tax at source Rs. 50,000. Compute the amount of tax payable for the assessment year Step 1: Computation of Net Taxable Income of Professor K for the assessment year : Indian Income (Income from salary) 4,00,000 Add: 4,00,000 8,00,000 Less: Deductions under chapter VIA 8,00,000 Step 2: Tax on NTI of Rs. 8,00,000 of Professor K for the assessment year : [Rs. 25, % (Rs. 8,00,000 - Rs. 5,00,000)] 85,000 Total 85,000 Add: 3% 2,550 Net tax liability 87,550 Step 3: Indian Rate of Tax (IRT) = Foreign Rate of Tax (FRT) = Net Taxable Income of step (1) 87,550/8,00,000 = 10.94% 50,000/4,00,000 = 12.5% Step 4: Relief under section 91 = Rs. 4,00,000 * 10.94% = Rs. 43,760 Step 5: Net tax to be paid in India by Professor K in the assessment year = Rs. 87,550 Rs. 43,760 = Rs. 43,790 Case 4 Mr. B is resident in India. The following points are noted for the previous year from the books of account: Income from a business in India (-) 2,00,

9 Income from a business in country X 5,00,000 (India does not have DTAA with country X) Income from other sources in India (Interest on Govt. securities) 1,20,000 PPF contribution 70,000 Tax levied in country X 9,000 Compute the amount of relief under section 91 and income tax payable in India for the assessment year Step 1: Computation of Net Taxable Income of Mr. B for the assessment year : Business Income (2,00,000) Income from other sources (Interest on government securities) 1,20,000 Indian Income (80,000) Add: 5,00,000 4,20,000 Less: Deductions under chapter VIA 70,000 3,50,000 Step 2: Tax on NTI of Rs. 3,50,000 of Mr. B for the assessment year : [10% (Rs. 3,50,000 - Rs. 2,50,000)] 10,000 Less: Rebate under section 87A 2,000 8,000 Total 8,000 Add: 3% 240 Net tax liability 8,240 Step 3: Indian Rate of Tax (IRT) = Foreign Rate of Tax (FRT) = Net Taxable Income of step (1) 8,240/3,50,000 = 2.35% 9,000/5,00,000 = 1.8% Step 4: Relief under section 91 = Rs. 3,50,000 * 1.8% = Rs. 6,300 Step 5: Net tax to be paid in India by Mr. B in the assessment year = Rs. 8,240 Rs. 6,300 = Rs. 1,940 Case 5 X is a resident in India for income tax purposes. His total income in previous year is Rs. 4,45,000, which includes net foreign income of Rs. 45,000 (Income Rs. 50,000 Tax paid in foreign country, Rs. 5,000) from a country with which India does not have DTAA. Will X be allowed relief 158

10 from double taxation? If so, what are the conditions prescribed for the purpose and what will be the amount of relief and tax paid in India? In the present case, X satisfies all the given below conditions of section 91 and thus, entitled for relief under section He is resident in India in any previous year. 2. His income is accrued (or arose) during that previous year outside India (and which is not deemed to accrue or arise in India). 3. He has paid tax in that country where the income accrued (or arose). 4. There is no agreement with than country under section 90 for the relief or avoidance of double taxation. Step 1: Computation of Net Taxable Income of X for the assessment year : Indian Income 4,00,000 Add: 50,000 4,50,000 Less: Deductions under chapter VIA 4,50,000 Step 2: Tax on NTI of Rs. 4,50,000 of X for the assessment year : [10% (Rs. 4,50,000 - Rs. 2,50,000)] 20,000 Less: Rebate under section 87A 2,000 18,000 Total 18,000 Add: 3% 540 Net tax liability 18,540 Step 3: Indian Rate of Tax (IRT) = Foreign Rate of Tax (FRT) = Net Taxable Income of step (1) 18,540/4,50,000*100 = 4.12% Step 4: Relief under section 91 = 50,000 * 4.12% = 2,060 5,000/50,000 = 10% Step 5: Net tax to be paid in India by X in the assessment year = Rs. 18,540 Rs. 2,060 = Rs. 16,480 Case 6 X, an individual, resident of India has the following incomes during previous year : 159

11 Indian income 4,00,000 Royalty on books sold in a foreign country 4,50,000 Tax levied in foreign country on income mentioned above 50,000 Compute his tax liability. India does not have DTAA with this foreign country. Step 1: Computation of Net Taxable Income of X for the assessment year : Indian Income 4,00,000 Add: (Royalty Income) 4,50,000 8,50,000 Less: Deductions under section 80QQB 3,00,000 5,50,000 Step 2: Tax on NTI of Rs. 5,50,000 of X for the assessment year : [Rs. 25, % (Rs. 5,50,000 - Rs. 5,00,000)] 35,000 Total 35,000 Add: 3% 1,050 Net tax liability 36,050 Step 3: Indian Rate of Tax (IRT) = Foreign Rate of Tax (FRT) = Net Taxable Income of step (1) 36,050/5,50,000 = 6.56% 50,000/4,50,000 = 11.11% Step 4: Relief under section 91 = Rs. 1,50,000 * 6.56% = Rs. 9,840 Step 5: Net tax to be paid in India by X for the assessment year = Rs. 36,050 Rs. 9,840 = Rs. 26,210 Case 7 X, a resident Indian, has derived the following incomes for the previous year relevant to the assessment year : Income from Profession 1,94,000 Income from house property in country X 40,000 (Tax paid for income in country X in equivalent Rs. 2,000) Royalty on books from foreign country Y 6,00,000 (Tax paid in country 20% converted in Indian Rs.) Expenses incurred for earning royalty is Rs. 1,00,000 Income from scheduled banks 18,

12 Compute the income tax payable by X in India. India has no DTAA with country X and country Y. Step 1: Computation of Net Taxable Income of X for the assessment year : Income from House Property in country X Business Income 40,000 1,94,000 Royalty Income from country Y 6,00,000 Less: Expenses incurred 1,00,000 5,00,000 Income from scheduled banks Less: Deduction under section 80QQB 18,000 7,52,000 3,00,000 4,52,000 Step 2: Tax on NTI of Rs. 4,52,000 of X for the assessment year : [10% (Rs. 4,52,000 - Rs. 2,50,000)] 20,200 Less: Rebate under section 87A 2,000 18,200 Total 18,200 Add: 3% 546 Net tax liability (Rounded off) 18,750 Step 3: Average Rate of Tax (ART) = Net Taxable Income of step (1) 18,750/4,52,000 = 4.15% Foreign Rate of Tax (FRTX) = Foreign Rate of Tax (FRTY) = 2,000/40,000 = 5% 1,00,000/5,00,000 = 20% Step 4: Relief on income of country X under section 91 = Rs. 40,000 * 4.15% = Rs. 1,660 Relief on income of country Y under section 91 = Rs. 2,00,000 * 4.15% = Rs. 8,300 Total relief under section 91 = Rs. 1,660 + Rs. 8,300 = Rs. 9,960 Step 5: Net tax to be paid in India by X assessment year = Rs. 18,750 Rs. 9,960 = Rs. 8,790 (Rounded off) Case 8 X (28 years) is ROR in India. His income is Rs. 3,46,000 from a business in India and Rs. 1,92,000 from a business in a foreign country with whom India has an ADT agreement. According to ADT 161

13 agreement, income is taxable in the country in which it is earned and not in the other country. However, in the other country, such income can be included for computation of tax rate. According to the tax laws of the foreign country, business income of Rs. 1,92,000 is 23 percent. During the previous year, X has deposited Rs. 42,000 in his public provident fund account (out of which Rs. 10,000 is deposited out of foreign income). He has also received an interest of Rs. 32,000 on Government Securities. Find out X s tax liability under the Income Tax Act for the assessment year Step 1: Computation of Net Taxable Income of X for the assessment year : Business Income 3,46,000 Income from other sources 32,000 Indian Income 3,78,000 Add: 1,92,000 5,70,000 Less: Deductions under section 80C 42,000 5,28,000 Step 2: Tax on NTI of Rs. 5,28,000 of X for the assessment year : [Rs. 25, % (Rs. 5,28,000 - Rs. 5,00,000)] 30,600 Total 30,600 Add: 3% 918 Net tax liability (Rounded off) 31,520 Step 3: Indian Rate of Tax (IRT) = Net Taxable Income of step (1) 31,520/5,28,000 = 5.97% Foreign Rate of Tax = 23% Step 4: Relief under section 91 = Rs. 1,92,000 * 5.97% = Rs. 11,462 Step 5: Net tax to be paid in India by X for the assessment year = Rs. 31,520 Rs. 11,462 = Rs. 20,060 (Rounded off) Note: Deduction of PPF has no relation with foreign income. Case 9 X, an individual, is resident and ordinarily resident in India. During the previous year , he has earned the following incomes: Income from business A situated in India 8,00,000 Income from business B situated in a foreign country R 7,15,000 Tax paid in this country 2,80,

14 Loss from business C situated in another foreign country S (1,60,000) Income from other sources in India 40,000 Amount of deduction under section 80C 80,000 Compute the tax liability of X for the assessment year India does not have DTAA with any of the foreign countries given above. Step 1: Computation of Net Taxable Income of X for the assessment year : Business Income (Rs. 8,00,000 + Rs. 7,15,000 Rs. 1,60,000) 13,55,000 Income from other sources 40,000 13,95,000 Less: Deductions under section 80C 80,000 13,15,000 Step 2: Tax on NTI of Rs. 13,15,000 of X for the assessment year : [Rs. 1,25, % (Rs. 13,15,000 - Rs. 10,00,000)] 2,19,500 Total 2,19,500 Add: 3% 6,585 Net tax liability (Rounded off) 2,26,090 Step 3: Indian Rate of Tax (IRT) = Net Taxable Income of step (1) 2,26,090/13,15,000 = 17.19% Foreign Rate of Tax (FRTR) = 2,80,000/7,15,000 % = 39.16% Step 4: Relief under section 91 = Rs. 7,15,000 * 17.19% = Rs. 1,22,909 Step 5: Net tax to be paid in India by X for the assessment year = Rs. 2,26,090 Rs. 1,22,909 = Rs. 1,03,180 (Rounded off) Note: To calculate Indian tax rate, one has to first find out taxable income in India from all sources (including loss from foreign business C). In other words, to find out average rate of tax in India, loss from business C shall be taken into consideration. The ruling of Bombay high court supports this view as per the case [CIT v. Bombay Burmah Trading Corpn. Ltd. [2003] 126 Taxmann 403 (Bom.)] in which the Court stated that, to find out doubly taxed income, loss incurred in business C in another foreign country cannot be reduced. 7.5 SUMMARY 163

15 This lesson discussed the concept of double taxation. Relevant sections of Income-tax Act, 1961 which deals with double taxation relief have been discussed in detail along with practical cases. 164

Foreign Tax Credit. June 2016

Foreign Tax Credit. June 2016 Foreign Tax Credit June 2016 Table of content 1 Introduction 2 Types of Relief 3 Exemption Method 4 Credit Method 5 Double non-taxation 6 Excess FTC 7 Documentation 8 Cases where FTC not available 9 Case

More information

INTERNATIONAL TAXATION

INTERNATIONAL TAXATION By CA. SANJAY D. SONAWANE M.COM; LLB; FICWA; DISA(ICAI); FCA INTERNATIONAL TAXATION International taxation is a study of determination of a tax on income earned in different countries, of a person or of

More information

Residential Status, Scope Of Total Income Under Income Tax, and Foreign Tax Credit

Residential Status, Scope Of Total Income Under Income Tax, and Foreign Tax Credit 1 KARTHIK RANGANATHAN ASSOCIATES Residential Status, Scope Of Total Income Under Income Tax, and Foreign Tax Credit Seminar on NRI Taxation ICAI SIRC, Chennai April 29, 2017 Karthik Ranganathan Tax and

More information

INTRODUCTION OF TAX PLANNING

INTRODUCTION OF TAX PLANNING INTRODUCTION OF TAX PLANNING UNIT 1 STRUCTURE OF THE CHAPTER 1.1 Introduction 1.2 Meaning of Planning 1.3 Meaning of Management 1.4 Meaning of Evasion 1.5 Meaning of Avoidance 1.6 Basics 1.7 Summary 1.8

More information

Re.: - Your letter No. MUM/CCIT/Coord/U-I/FTC/ /326 dated 14 th January 2013

Re.: - Your letter No. MUM/CCIT/Coord/U-I/FTC/ /326 dated 14 th January 2013 13 th February 2013 The Chief Commissioner of Income-Tax, Aayakar Bhavan, Maharshi Karve Road, Mumbai 400 020 Dear Sir, Re.: - Your letter No. MUM/CCIT/Coord/U-I/FTC/2012-13/326 dated 14 th January 2013

More information

Overview of Taxation of Non Residents

Overview of Taxation of Non Residents Overview of Taxation of Non Residents CTC Vispi T. Patel Vispi T. Patel & Associates 13 th December, 2013 Scheme of Taxation for Non Residents under Income-tax Act, 1961 Section 4 (Charge of Income-tax)

More information

CS Professional Programme Solution June Paper - 6 Module-III Advanced Tax Laws and Practice Part-A

CS Professional Programme Solution June Paper - 6 Module-III Advanced Tax Laws and Practice Part-A CS Professional Programme Solution June - 2013 Paper - 6 Module-III Advanced Tax Laws and Practice Part-A Answer: 2013 - June [1] (a) (i) Ch-14 The statement is True. As per Section 115 BBD, dividend from

More information

Income Ta Income Tax (A.Y (A.Y )

Income Ta Income Tax (A.Y (A.Y ) 1 Income Tax (A.Y. 2011-12) 12) What is a Finance Bill? a) The Finance Bill incorporates all the financial proposals of the Government for the following year. b) It is ordinarily introduced in the Lok

More information

Income-tax and Death are the only two inevitable things in life In India, taxes were levied even in ancient times refer to Manu Smriti & Arthashastra

Income-tax and Death are the only two inevitable things in life In India, taxes were levied even in ancient times refer to Manu Smriti & Arthashastra Income-tax and Death are the only two inevitable things in life In India, taxes were levied even in ancient times refer to Manu Smriti & Arthashastra Why to Pay Tax? It was only for the good of his subjects

More information

Marking Scheme. Session TAXATION (782) CLASS XII. Total marks: 100 Theory: 60 Marks Practical: 40 Marks. 1 Deduction From Gross Total Income

Marking Scheme. Session TAXATION (782) CLASS XII. Total marks: 100 Theory: 60 Marks Practical: 40 Marks. 1 Deduction From Gross Total Income Marking Scheme Session 2018-19 TAXATION (782) CLASS XII Total marks: 100 Theory: 60 Marks Practical: 40 Marks UNITS UNIT NAME TOTAL 1 Deduction From Gross Total Income 2 Computation Of Ta x Liability Of

More information

1

1 TAX & LEGAL & GENERAL INFORMATION A. Taxation on investing in Mutual Funds As per the taxation laws in force as at the date of this Scheme Information Document and the enactment of Finance Bill 2008,,the

More information

MOCK TEST I INTERMEDIATE (IPC) GROUP I PAPER 4: TAXATION SUGGESTED ANSWERS/HINTS

MOCK TEST I INTERMEDIATE (IPC) GROUP I PAPER 4: TAXATION SUGGESTED ANSWERS/HINTS MOCK TEST I INTERMEDIATE (IPC) GROUP I PAPER 4: TAXATION SUGGESTED ANSWERS/HINTS Test Series: September, 2014 1. (a) Computation of taxable income and tax liability of Smt. Sudha Sharma for A.Y. 2014-15

More information

Appeal, Set comm., DRP Etc Mock Test IGP-CS CA Vivek Gaba

Appeal, Set comm., DRP Etc Mock Test IGP-CS CA Vivek Gaba 1. Taking full advantage of loopholes of law so as to attract least incidence of tax is known as a) Tax planning b) Tax evasion c) Tax avoidance d) Tax management 2. Which is the relevant Form No. for

More information

Your guide to taxation in South Africa

Your guide to taxation in South Africa Sharing our experience Your guide to taxation in South Africa www.fpinternational.com Policyholder s guide to taxation in South Africa Friends Provident International (FPI) provides life insurance, savings

More information

Foreign tax credit A Practical insight

Foreign tax credit A Practical insight Foreign tax credit A Practical insight - CA Vishal Palwe 13 October 2012 1 Meaning of International Double Taxation Juridical double taxation Imposition of income taxes by two or more states on the same

More information

Income Tax Changes made in Income Tax Provisions in the Union Budget which would affect Salaried Class

Income Tax Changes made in Income Tax Provisions in the Union Budget which would affect Salaried Class Income Tax 2013-14 Changes made in Income Tax Provisions in the Union Budget 2013-14 which would affect Salaried Class A. RATES OF INCOME-TAX I. Rates of income-tax in respect of income liable to tax for

More information

FINAL CA May 2018 DIRECT TAXATION

FINAL CA May 2018 DIRECT TAXATION FINAL CA May 2018 DIRECT TAXATION Test Code F 90 Branch: MULTIPLE Date: (50 Marks) compulsory. Note: All questions are Question 1 (10 marks) Computation of Book Profit for levy of MAT under section 115JB

More information

Your guide to taxation in India

Your guide to taxation in India Sharing our experience Your guide to taxation in India www.fpinternational.com The tax treatment of our products if you return to India Whilst tax planning might be an important part of your overall financial

More information

Basics of Income Tax

Basics of Income Tax CHAPTER : Basics of Income Tax CONCEPT 1: Short Title, Extent and Commencement [Section 1] a) Short title : Income Tax Act 1961 b) Extent : Whole of India c) Commencement : 1 st April, 1962 CONCEPT 2:

More information

International Taxation

International Taxation 568 An Insight into Foreign Tax Credit It is an acceptable fact that uniform solution for allowability of FTC cannot be provided in the Convention in view of the wide variety of fiscal policies and techniques

More information

Registration of Foreign Limited Partnerships in the Cayman Islands

Registration of Foreign Limited Partnerships in the Cayman Islands Registration of Foreign Limited Partnerships in the Cayman Islands Preface This publication has been prepared for the assistance of those who are considering registration of a foreign limited partnership

More information

1 Basics of Income Tax Law &

1 Basics of Income Tax Law & 1 Basics of Income Tax Law & Residential Status This Chapter Includes : Basics of Taxation; Direct Taxes & Indirect Taxes; Sources and Authority of Taxes in India; Seventh Schedule of the Constitution;

More information

As proposed in The Finance Bill, 2016 introduced by Finance Minister of India on 29th February, 2016.

As proposed in The Finance Bill, 2016 introduced by Finance Minister of India on 29th February, 2016. 1 Budget 2016-2017 Highlights for Non-Residents As proposed in The Finance Bill, 2016 introduced by Finance Minister of India on 29th February, 2016. The Indian Budget presented by the Finance Minister

More information

CPE STUDY CIRCLE MEETING FOREIGN TAX CREDIT MAY 2016

CPE STUDY CIRCLE MEETING FOREIGN TAX CREDIT MAY 2016 CPE STUDY CIRCLE MEETING FOREIGN TAX CREDIT MAY 2016 INTRODUCTION Objectives of a tax treaty Elimination of double taxation Clarification of fiscal situation of tax payers Certainty on nature of income

More information

Foreign Collaboration

Foreign Collaboration CHAPTER 17 Foreign Collaboration Some Key Points (a) The tax liability of a foreign collaborator and the Indian counter part is dependent on their residential status and the applicable provisions of DTAA,

More information

Difference Between a Foreign Company Doing Business in Gibraltar and a Re-domiciled Company

Difference Between a Foreign Company Doing Business in Gibraltar and a Re-domiciled Company GUIDANCE NOTE 20 Re-domiciliation of Companies into and out of Gibraltar Difference Between a Foreign Company Doing Business in Gibraltar and a Re-domiciled Company A Foreign Company doing business in

More information

SURENDER KR. SINGHAL & CO

SURENDER KR. SINGHAL & CO PROPOSED TAX RATES FOR FINANCIAL YEAR 2016-17 A. Y. 2017-18 Income Tax Rates for Individuals, HUF Individuals, Hindu Undivided Families (HUF) and Artificial Jurisdictional Person: Net Income Range Income

More information

Your guide to taxation in India

Your guide to taxation in India Sharing our experience Your guide to taxation in India www.fpinternational.com The tax treatment of our products if you return to India Whilst tax planning might be an important part of your overall financial

More information

ASSESSMENT OF AOP / BOI (Sec. 86)

ASSESSMENT OF AOP / BOI (Sec. 86) ASSESSMENT OF AOP / BOI (Sec. 86) The assessment of the members of AOP or BOI depends on whether the AOP or BOI is chargeable to tax at the maximum marginal rate or at slab rate or is not chargeable to

More information

FB.COM/SUPERWHIZZ4U Income Tax Amendment for the Assessment

FB.COM/SUPERWHIZZ4U Income Tax Amendment for the Assessment FB.COM/SUPERWHIZZ4U Income Tax Amendment for the Assessment Year 2014-15 - SIPOY SATISH Highlights of Change in Direct Taxes in the Union Budget 2013 1. Rate of Income Tax for Individual a) Slab Rate Assessment

More information

13 Assessment of Various Entities

13 Assessment of Various Entities 13 Assessment of Various Entities 13.1 Assessment of Companies 13.1.1 Meaning of Company for purposes of income-tax: Under the Income-tax Act, 1961, the term company has a much wider meaning than what

More information

International Taxation

International Taxation International Taxation Presentation by: CA Amit Maheshwari Partner, Ashok Maheshwary & Associates Chartered Accountants, Gurgaon (Independent Member of the Leading Edge Alliance) E-Mail : info@akmglobal.com

More information

Expatriates Incoming Seminar on Taxation of Expatriates ICAI, Bangalore Chapter, 18 May 2007

Expatriates Incoming Seminar on Taxation of Expatriates ICAI, Bangalore Chapter, 18 May 2007 Expatriates Incoming Seminar on Taxation of Expatriates ICAI, Bangalore Chapter, 18 May 2007 Agenda Residential Status Alternative Income Streams Tax Implications Avoidance of double taxation - Tax Credits

More information

TAX RECKONER

TAX RECKONER TAX RECKONER 2018-19 The rates are applicable for the Financial Year 2018-19 (AY 2019-20) and subject to enactment of the Finance Bill, 2018 Note: The tax rate card will be re-visited post enactment of

More information

Triple Taxation under IT Act after introduction of sec 115BBDA

Triple Taxation under IT Act after introduction of sec 115BBDA Triple Taxation under IT Act after introduction of sec 5BBDA The implied policy Indian Government is to avoid double taxation on income from same source and DTAAs with various countries are model examples

More information

BATCH : GI 1 to GI 5

BATCH : GI 1 to GI 5 (0.5 6=3M) MITTAL COMMERCE CLASSES BATCH : GI 1 to GI 5 DATE: 18.08.2017 MAXIMUM MARKS: 100 TIMING: 3 Hours PAPER 4 : TAXATION Question No. 1 is Compulsory Answer any five questions from the remaining

More information

Unit 11: COMPUTATION OF TAX

Unit 11: COMPUTATION OF TAX Unit 11: COMPUTATION OF TAX HOW TO COMPUTE TAX PAYABLE Once the net taxable income is computed, the next step is to compute the final tax payable. The final tax payable is computed as follows: (1) Taxable

More information

United Kingdom Corporate and Individual Tax and Financial Transparency Bill

United Kingdom Corporate and Individual Tax and Financial Transparency Bill United Kingdom Corporate and Individual Tax and Financial Transparency Bill CONTENTS 1 Disclosure of financial information by large companies 2 Disclosure of taxation information by selected large companies

More information

Assessment Year

Assessment Year Assessment Year 2016-2017 Income Income Income Income Income From Salaries from Capital Gains from Business and Profession from House Property from Other Sources Individual/HUF Firm Company Trust AOP/BOI/Co-op

More information

SOLUTIONS TO ASSIGNMENT PROBLEMS. Problem No. 1. Self study. Problem No. 2

SOLUTIONS TO ASSIGNMENT PROBLEMS. Problem No. 1. Self study. Problem No. 2 7. CAPITAL GAINS SOLUTIONS TO ASSIGNMENT PROBLEMS Problem No. 1 Self study Problem No. 2 We know that capital gains arise only when we transfer a capital asset. The liability of capital gains tax in the

More information

Rates of Taxes. Rates for deduction of Income

Rates of Taxes. Rates for deduction of Income CA Mohan S. Phadke Rates of Taxes I. Rates of Income Tax in respect of income liable to tax for the assessment year 2013-14 a) In respect of income of all categories of assessees liable to tax for the

More information

SOME RELEVANT TREATY ISSUES

SOME RELEVANT TREATY ISSUES SOME RELEVANT TREATY ISSUES Rahul Charkha August 29, 2018 CONTENT Sr. No. Topic 1 Glossary 2 Most Favoured Nation Principle 3 Tax Credit 4 Mutual Agreement Procedures 5 Annexure - 1 6 Our Team GLOSSARY

More information

Notes on TRUST AND ESTATE FOREIGN

Notes on TRUST AND ESTATE FOREIGN SA904(Notes) Contents Filling in the Trust and Estate Foreign pages Part A - reporting the trust or estate's foreign income and claiming Foreign Tax Credit Relief Arising basis Remittance basis Joint savings

More information

Tax-treatment and TDS, in respect of remuneration payable to an employee of an Indian Company, located abroad

Tax-treatment and TDS, in respect of remuneration payable to an employee of an Indian Company, located abroad Tax-treatment and TDS, in respect of remuneration payable to an employee of an Indian Company, located abroad 1 Tax-treatment and TDS, in respect of salary, bonus and incentive, receivable by the CEO of

More information

HOW TO READ A TREATY Introduction (India UK Treaty) Kishor Karia

HOW TO READ A TREATY Introduction (India UK Treaty) Kishor Karia BOMBAY CHARTERED ACCOUNTANTS SOCEITY BASIC STUDY COURSE ON DOUBLE TAXATION AVOIDANCE AGREEMENT HOW TO READ A TREATY Introduction (India UK Treaty) 1 UK Agreement for avoidance of double taxation and prevention

More information

Paper 7- Direct Taxation

Paper 7- Direct Taxation Paper 7- Direct Taxation Academics Department, The Institute of Cost Accountants of India (Statutory Body under an Act of Parliament) Page 1 Paper 7- Direct Taxation Full Marks: 100 Time Allowed: 3 hours

More information

for private circulation only

for private circulation only NEWSLETTER M. V. DAMANIA & Co. Chartered Accountants CONTENTS Rajmoti Industries Gujarat High Court Dholgiri Industries Pvt. Ltd. Alkaben Patel Ahmedabad Tribunal, Special Bench Hindustan Lever Limited

More information

TDS under section 195 of the Income-tax Act. CA Vishal Palwe 16 December 2017 Seminar on International Taxation at WIRC

TDS under section 195 of the Income-tax Act. CA Vishal Palwe 16 December 2017 Seminar on International Taxation at WIRC TDS under section 195 of the Income-tax Act CA Vishal Palwe 16 December 2017 Seminar on International Taxation at WIRC Overview of section 195 Overview of section 195 195(1) Any person paying to non-resident

More information

A BILL to give effect to the financial proposals of the Central Government for the financial year

A BILL to give effect to the financial proposals of the Central Government for the financial year FINANCE BILL, 2012* Bill No. 11 of 2012 A BILL to give effect to the financial proposals of the Central Government for the financial year 2012-2013. BE it enacted by Parliament in the Sixty-third Year

More information

Paper 16-DIRECT TAX LAWS AND INTERNATIONAL TAXATION

Paper 16-DIRECT TAX LAWS AND INTERNATIONAL TAXATION Paper 16-DIRECT TAX LAWS AND INTERNATIONAL TAXATION Academics Department, The Institute of Cost Accountants of India (Statutory Body under an Act of Parliament) Page 1 Paper 16 Direct Tax Laws and International

More information

Budget Presented For: Klaus Vogel Group Presented By: Mr. Kuntal Dave Date: March 8, 2013

Budget Presented For: Klaus Vogel Group Presented By: Mr. Kuntal Dave Date: March 8, 2013 Budget 2013 Presented For: Klaus Vogel Group Presented By: Mr. Kuntal Dave Date: March 8, 2013 Index Direct Tax Proposals Implications of amendments proposed in the Finance Bill, 2013 2 Direct Tax Proposals

More information

Unit 11: COMPUTATION OF TAX

Unit 11: COMPUTATION OF TAX Unit 11: COMPUTATION OF TAX HOW TO COMPUTE TAX PAYABLE Once the net taxable income is computed, the next step is to compute the final tax payable. The final tax payable is computed as follows: (1) Taxable

More information

(A) received from the Government in pursuance of an agreement made by the non-resident/ foreign company with the Government, or

(A) received from the Government in pursuance of an agreement made by the non-resident/ foreign company with the Government, or Section 115A - 10% on Royalty and FTS Where the total income of a foreign company or a non-resident includes any income by way of royalty or fees for technical services other than the income referred to

More information

1. (1) The taxes which are the subject of this Arrangement are. The income tax (including super tax) (hereinafter referred to as Guernsey tax ).

1. (1) The taxes which are the subject of this Arrangement are. The income tax (including super tax) (hereinafter referred to as Guernsey tax ). AGREEMENT BETWEEN HIS MAJESTY'S GOVERNMENT AND THE STATES OF GUERNSEY FOR THE AVOIDANCE OF DOUBLE TAXATION AND THE PREVENTION OF FISCAL EVASION WITH RESPECT TO TAXES ON INCOME 1. (1) The taxes which are

More information

AGREEMENT OF 2 ND MAY, Norway

AGREEMENT OF 2 ND MAY, Norway AGREEMENT OF 2 ND MAY, 1951 Norway CONVENTION BETWEEN THE GOVERNMENT OF THE UNITED KINGDOM OF GREAT BRITAIN AND NORTHERN IRELAND AND THE GOVERNMENT OF THE KINGDOM OF NORWAY FOR THE AVOIDANCE OF DOUBLE

More information

(50 Marks) Particulars ` ` Indian Income 42,00,000 Foreign Income 6,00,000 Gross Total Income 48,00,000 Less:

(50 Marks) Particulars ` ` Indian Income 42,00,000 Foreign Income 6,00,000 Gross Total Income 48,00,000 Less: FINAL November 2017 DIRECT TAXATION Test Code P 34 Branch (MULTIPLE) (Date : 23.07.2017) (50 Marks) Note: All questions are compulsory. Question 1(6 Marks) Computation of tax liability of Ms. Swarnalatha

More information

PROPOSED AMENDMENTS FOR INCOME TAX IN FINANCE BILL, 2018 - By PARAS KOCHAR, Advocate NO CHANGE IN PERSONAL INCOME TAX. Education Cess and Secondary and Higher Education Cess shall be discontinued and a

More information

AGREEMENT BETWEEN THE GOVERNMENT OF THE KINGDOM OF THAILAND AND THE GOVERNMENT OF THE HONG KONG SPECIAL ADMINISTRATIVE

AGREEMENT BETWEEN THE GOVERNMENT OF THE KINGDOM OF THAILAND AND THE GOVERNMENT OF THE HONG KONG SPECIAL ADMINISTRATIVE AGREEMENT BETWEEN THE GOVERNMENT OF THE KINGDOM OF THAILAND AND THE GOVERNMENT OF THE HONG KONG SPECIAL ADMINISTRATIVE REGION OF THE PEOPLE S REPUBLIC OF CHINA FOR THE AVOIDANCE OF DOUBLE TAXATION AND

More information

MOCK TEST SOLUTION A.Y Total No. of Question 7] [Total No. of Printed Pages 20 Time Allowed 3 Hours Maximum Marks 100 MKG

MOCK TEST SOLUTION A.Y Total No. of Question 7] [Total No. of Printed Pages 20 Time Allowed 3 Hours Maximum Marks 100 MKG MOCK TEST SOLUTION IPC (Intermediate) (Computation of Total Income And Tax Liability, Taxability of Gift, Advance Payment of Tax, Residential Status & Scope of Total Income, House Property, Agricultural

More information

Cross-border audit oversight

Cross-border audit oversight September 2013 Cross-border audit oversight The equivalence of systems of public oversight, quality assurance, investigation and penalties for the audit profession in the European Union and third countries

More information

1. Outermost regions. 2. Overseas countries and territories

1. Outermost regions. 2. Overseas countries and territories Analysis of the status of entities from various territories mentioned in Article 355 TFEU and other special cases: participation and funding under Horizon 2020. This note contains information concerning

More information

THE GOVERNMENT OF AUSTRALIA AND THE GOVERNMENT OF THE UNITED KINGDOM OF GREAT BRITAIN AND NORTHERN IRELAND,

THE GOVERNMENT OF AUSTRALIA AND THE GOVERNMENT OF THE UNITED KINGDOM OF GREAT BRITAIN AND NORTHERN IRELAND, AGREEMENT BETWEEN THE GOVERNMENT OF AUSTRALIA AND THE GOVERNMENT OF THE UNITED KINGDOM FOR THE AVOIDANCE OF DOUBLE TAXATION AND THE PREVENTION OF FISCAL EVASION, WITH RESPECT TO TAXES ON INCOME THE GOVERNMENT

More information

BEFORE THE AUTHORITY FOR ADVANCE RULINGS NEW DELHI

BEFORE THE AUTHORITY FOR ADVANCE RULINGS NEW DELHI BEFORE THE AUTHORITY FOR ADVANCE RULINGS NEW DELHI 29 th Day of January, 2018 A.A.R. No 1217 of 2011 PRESENT Mr. R.S. Shukla, In-charge Chairman Mr. Ashutosh Chandra, Member (Revenue) Name & address of

More information

Taxation of Expatriates Issues which can be considered for taxation of Expatriates: - Residential Status. - Taxation of salary, perquisites, amenities

Taxation of Expatriates Issues which can be considered for taxation of Expatriates: - Residential Status. - Taxation of salary, perquisites, amenities SIRC of ICAI Tirupur Branch Taxation of Expatriates 9 th February, 2008 Naresh Ajwani Partner Rashmin Sanghvi & Associates Chartered Accountants Taxation of Expatriates Issues which can be considered for

More information

R-2. Amendments at a glance

R-2. Amendments at a glance R-2 Amendments at a glance Effected by the Finance ACT, 2018 $ Tax rates 0.11 Tax rates for the assessment years 2018-19 and 2019-20 are given in Referencer 1. 0.11-1 Income-tax - The following are the

More information

TAXATION (IMPLEMENTATION) (INTERNATIONAL TAX COMPLIANCE) (COMMON REPORTING STANDARD) (JERSEY) REGULATIONS 2015

TAXATION (IMPLEMENTATION) (INTERNATIONAL TAX COMPLIANCE) (COMMON REPORTING STANDARD) (JERSEY) REGULATIONS 2015 Arrangement TAXATION (IMPLEMENTATION) (INTERNATIONAL TAX COMPLIANCE) (COMMON REPORTING STANDARD) (JERSEY) REGULATIONS 2015 Arrangement Regulation 1 Interpretation... 3 2 Meaning of relevant date and relevant

More information

INDIA BUDGET I. Equalisation levy stems out of OECD s BEPS Action Plan 1 on Digital Economy

INDIA BUDGET I. Equalisation levy stems out of OECD s BEPS Action Plan 1 on Digital Economy INDIA BUDGET 2016 A. International tax I. Equalisation levy stems out of OECD s BEPS Action Plan 1 on Digital Economy New Chapter titled Equalisation Levy introduced in Finance Bill, considering it is

More information

THE BUDGET Dhiren Shah & Co. Chartered Accountants Ahmedabad

THE BUDGET Dhiren Shah & Co. Chartered Accountants Ahmedabad THE BUDGET 2019-20 Dhiren Shah & Co. Chartered Accountants Ahmedabad Address : 2nd & 3rd Floor, Swastik Avenue, Swastik society, Navrangpura, Ahmedabad- 380009. Contents Particulars Page No About Us 1

More information

ICAI-Western India Regional Council. Taxability of Trust Domestic and International Tax Issues

ICAI-Western India Regional Council. Taxability of Trust Domestic and International Tax Issues ICAI-Western India Regional Council Taxability of Trust Domestic and International Tax Issues Presented by: Mr. Paresh P. Shah P.P. Shah & Associates Chartered Accountants Email: ppshahandassociates@gmail.com

More information

OECD Model Tax Convention on Income and Capital An overview. CA Vishal Palwe, 3 July 2015

OECD Model Tax Convention on Income and Capital An overview. CA Vishal Palwe, 3 July 2015 OECD Model Tax Convention on Income and Capital An overview CA Vishal Palwe, 3 July 2015 1 Contents Overview of double taxation 3 Basics of tax treaty 6 Domestic law and tax treaty 11 Key provisions of

More information

"Our purpose is client services which is supportive, responsive and focused on delivering results." Harneys Fiduciary

Our purpose is client services which is supportive, responsive and focused on delivering results. Harneys Fiduciary Hong Kong Companies Hong Kong is the economic and financial gateway to China. Over 1.2 million private limited companies have been registered with the Hong Kong Companies Registry. Hong Kong, as a global

More information

Tax essentials for Individuals

Tax essentials for Individuals Tax Rates The income tax rates are: Taxable Income for Men Rate Taxable Income for Women Rate Up to Rs. 1,80,000 Nil Up to Rs. 1,90,000 Nil 1,80,001 to 5,00,000 10% 1,90,001 to 5,00,000 10% 5,00,001 to

More information

DOUBLE TAXATION AVOIDANCE AGREEMENT: EXAMINATION OF EXECUTIVE ACTION AND JUDICIAL PROTECTION BETWEEN INDIA AND OTHER COUNTRIES

DOUBLE TAXATION AVOIDANCE AGREEMENT: EXAMINATION OF EXECUTIVE ACTION AND JUDICIAL PROTECTION BETWEEN INDIA AND OTHER COUNTRIES 1 DOUBLE TAXATION AVOIDANCE AGREEMENT: EXAMINATION OF EXECUTIVE ACTION AND JUDICIAL PROTECTION BETWEEN INDIA AND OTHER COUNTRIES Akanksha Omar 1 Double taxation for Double income but no Double avoidance

More information

Budget Highlights

Budget Highlights Budget Highlights 2018-19 DIRECT TAX PROPOSALS Chartered Accountants 1 st Floor, Sapphire Business Centre, Above SBI Vadaj Branch, Usmanpura, Ashram Road, Ahmedabad-380013 Email: apcca@apcca.com Website:

More information

WHITE PAPER - WHETHER NON-RESIDENT FOREIGN COMPANIES ARE REQUIRED TO FILE RETURN OF INCOME IN INDIA.

WHITE PAPER - WHETHER NON-RESIDENT FOREIGN COMPANIES ARE REQUIRED TO FILE RETURN OF INCOME IN INDIA. WHITE PAPER - WHETHER NON-RESIDENT FOREIGN COMPANIES ARE REQUIRED TO FILE RETURN OF INCOME IN INDIA www.rsmindia.in 1.0 BACKGROUND 1.1 Taxation of non-residents has been a vexed issue for a long time.

More information

NOTIFICATION NO. 160/ 2005, Dated: June 1, 2005

NOTIFICATION NO. 160/ 2005, Dated: June 1, 2005 NOTIFICATION NO 160/ 2005, Dated: June 1, 2005 In exercise of the powers conferred by section 295 of the Income-tax Act, 1961 (43 of 1961), the Central Board of Direct Taxes hereby makes the following

More information

Class Test Answer Sheet

Class Test Answer Sheet Class Test Answer Sheet CA Final Direct Taxes [Full Syllabus] Time Allowed 3:00 Hours 11-10-015 Marks 100 Question No. 1 is compulsory. Attempt any five from the remaining six questions. (Wherever required,

More information

You cannot treat me like this Double Taxation Avoidance Agreement and Non-Discrimination Rule

You cannot treat me like this Double Taxation Avoidance Agreement and Non-Discrimination Rule 386 KNOWLEDGE RESOURCE [Vol. 37 You cannot treat me like this Double Taxation Avoidance Agreement and Non-Discrimination Rule Chhavi Agarwal* If you define treaty in layman s language, it is a document/agreement

More information

LITHUANIA. ARTICLE 1 PERSONS COVERED This Agreement shall apply to persons who are residents of one or both of the Contracting States.

LITHUANIA. ARTICLE 1 PERSONS COVERED This Agreement shall apply to persons who are residents of one or both of the Contracting States. LITHUANIA Agreement for Avoidance of double taxation and prevention of fiscal evasion with foreign countries Lithuania Whereas an Agreement and the Protocol between the Government of the Republic of India

More information

Tax Withholding Section 195 and CA certification

Tax Withholding Section 195 and CA certification Tax Withholding Section 195 and CA certification October 1, 2011 Bijal Desai Presentation Outline Non-resident payments Withholding tax Lower or NIL withholding of tax CA Certification Consequences of

More information

TAX RATES FOR AY ANUJ PATCHIGAR & ASSOCIATES CHARTERED ACCOUNTANTS

TAX RATES FOR AY ANUJ PATCHIGAR & ASSOCIATES CHARTERED ACCOUNTANTS TAX RATES FOR AY 2013-14 Compiled by ANUJ PATCHIGAR & ASSOCIATES CHARTERED ACCOUNTANTS DISCLAIMER: Anuj Patchigar & Associates has taken due care and caution in compilation and presenting factually correct

More information

Advanced Tax Laws and Practice 376

Advanced Tax Laws and Practice 376 RollNo... Advanced Tax Laws and Practice 376 : 1 : Time allowed : 3 hours Maximum marks : 100 Total number of questions : 8 Total number of printed pages : 8 NOTE : All references to sections mentioned

More information

The Government of the Kingdom of the Netherlands. And. The Government of the Isle of Man

The Government of the Kingdom of the Netherlands. And. The Government of the Isle of Man Agreement between the Kingdom of the Netherlands and the Isle of Man on the access to mutual agreements procedures in connection with the adjustment of profits of associated enterprises and the application

More information

MISCELLANEOUS PROVISIONS

MISCELLANEOUS PROVISIONS 27 MISCELLANEOUS PROVISIONS AMENDMENTS BY THE FINANCE ACT, 2015 (a) Acceptance of Specified sum and repayment of Specified advance in relation to immovable property transactions to be effected through

More information

The Government of the Kingdom of the Netherlands. and. The Government of the Isle of Man,

The Government of the Kingdom of the Netherlands. and. The Government of the Isle of Man, AGREEMENT BETWEEN THE KINGDOM OF THE NETHERLANDS AND THE ISLE OF MAN FOR THE AVOIDANCE OF DOUBLE TAXATION WITH RESPECT TO ENTERPRISES OPERATING SHIPS OR AIRCRAFT IN INTERNATIONAL TRAFFIC The Government

More information

Section 94 A Black Listing of Tax Havens

Section 94 A Black Listing of Tax Havens Section 94 A Black Listing of Tax Havens Rashmin Sanghvi 7 th March, 2011 This section is a collection of anti avoidance provisions. The memorandum explaining the provisions of Finance Bill refers to this

More information

thousand rupees of the total income but without being liable to tax], only for the purpose of charging income-tax in respect of the total income; and

thousand rupees of the total income but without being liable to tax], only for the purpose of charging income-tax in respect of the total income; and ACT FINANCE ACT *Finance Act, 2011 [8 OF 2011] An Act to give effect to the financial proposals of the Central Government for the financial year 2011-2012. BE it enacted by Parliament in the Sixty-second

More information

Continuing obligations of a Cayman Islands exempted limited partnership closed-ended fund

Continuing obligations of a Cayman Islands exempted limited partnership closed-ended fund Legal Guide Continuing obligations of a Cayman Islands exempted limited partnership closed-ended fund Part A Investment fund obligations Note in particular that penalties frequently apply for late filings

More information

UK/NETHERLANDS DOUBLE TAXATION CONVENTION AND PROTOCOL SIGNED IN LONDON ON 26 SEPTEMBER 2008

UK/NETHERLANDS DOUBLE TAXATION CONVENTION AND PROTOCOL SIGNED IN LONDON ON 26 SEPTEMBER 2008 UK/NETHERLANDS DOUBLE TAXATION CONVENTION AND PROTOCOL SIGNED IN LONDON ON 26 SEPTEMBER 2008 This Convention and Protocol have not yet entered into force. This will happen when both countries have completed

More information

Offshore financial centers in the Caribbean: How do U.S. banks benefit?

Offshore financial centers in the Caribbean: How do U.S. banks benefit? Offshore financial centers in the Caribbean: How do U.S. banks benefit? Michael Brei University Paris Ouest (France) & SALISES, UWI (Trinidad & Tobago) Motivation (I) - The decision of a country not to

More information

Triangular Cases in application of Tax Treaties. Arpit Jain Chartered Accountant

Triangular Cases in application of Tax Treaties. Arpit Jain Chartered Accountant Triangular Cases in application of Tax Treaties Arpit Jain Chartered Accountant Cases Case Study 1 In which country is interest taxable? State R GE Income: 300 PE Income: 200 State P State S Interest:

More information

GUERNSEY. Sections 75C and 75CC of the Income Tax (Guernsey) Law, 1975

GUERNSEY. Sections 75C and 75CC of the Income Tax (Guernsey) Law, 1975 GUERNSEY Sections 75C and 75CC of the Income Tax (Guernsey) Law, 1975 75C. Notices under section 75A and 75B: requests for information. 75CC. Implementation of approved international agreements by regulation.

More information

BEFORE THE AUTHORITY FOR ADVANCE RULINGS NEW DELHI

BEFORE THE AUTHORITY FOR ADVANCE RULINGS NEW DELHI BEFORE THE AUTHORITY FOR ADVANCE RULINGS NEW DELHI 29 th Day of January, 2018 A.A.R. No 1299 of 2012 PRESENT Mr. R.S. Shukla, Incharge-Chairman Mr. Ashutosh Chandra, Member (Revenue) Name & address of

More information

Desiring to conclude an Agreement for the avoidance of double taxation and the prevention of fiscal evasion with respect to taxes on income,

Desiring to conclude an Agreement for the avoidance of double taxation and the prevention of fiscal evasion with respect to taxes on income, AGREEMENT BETWEEN THE GOVERNMENT OF THE HONG KONG SPECIAL ADMINISTRATIVE REGION OF THE PEOPLE S REPUBLIC OF CHINA AND THE GOVERNMENT OF THE SOCIALIST REPUBLIC OF VIETNAM FOR THE AVOIDANCE OF DOUBLE TAXATION

More information

LUXEMBOURG. ARTICLE 1 PERSONS COVERED This Agreement shall apply to persons who are residents of one or both of the Contracting States.

LUXEMBOURG. ARTICLE 1 PERSONS COVERED This Agreement shall apply to persons who are residents of one or both of the Contracting States. LUXEMBOURG Agreement for avoidance of double taxation and prevention of fiscal evasion with Luxembourg Whereas, an Agreement and the Protocol between the Government of Republic of India and the Government

More information

Tax essentials for Individuals

Tax essentials for Individuals Tax Rates The income tax rates are: Taxable Income for Men & Rate Taxable Income for Senior Rate Women Citizen Up to Rs. 2,00,000 Nil Up to Rs. 2,50,000 Nil 2,00,001 to 5,00,000 10% 2,50,001 to 5,00,000

More information

BATCH : LI 1, 2, 3, 4, 5, 6, 7 & 8

BATCH : LI 1, 2, 3, 4, 5, 6, 7 & 8 BATCH : LI 1, 2, 3, 4, 5, 6, 7 & 8 DATE: 04.10.2016 MAXIMUM MARKS: 100 TIMING: 3 Hours PAPER 4 : TAXATION Question No. 1 is Compulsory Answer any five questions from the remaining six questions. Wherever

More information

R U L I N G (By Mr. Justice Syed Shah Mohammed Quadri)

R U L I N G (By Mr. Justice Syed Shah Mohammed Quadri) BEFORE THE AUTHORITY FOR ADVANCE RULINGS (INCOME TAX) NEW DELHI =========== P R E S E N T Hon ble Mr. Justice Syed Shah Mohammed Quadri (Chairman) Mr. A.S. Narang (Member) Friday, the Twenty-fifth February

More information

ATION OF NON RESIDENTS

ATION OF NON RESIDENTS ATION OF NON RESIDENTS ambusaria, 2011 e 2 ENTS sidence pe of Total Income ome deemed to accrue or arise in India sumptive based taxation for Non residents ecific Provisions for Taxation of Non residents

More information

Vinodh & Muthu. Tax Alert. Insight. Chartered Accountants. Country by Country Reporting & Master File

Vinodh & Muthu. Tax Alert. Insight. Chartered Accountants. Country by Country Reporting & Master File Vinodh & Muthu Chartered Accountants Tax Alert Country by Country Reporting & Master File Insight The Organisation for Economic Cooperation and Development ( OECD ) report on Action 13 of Base Erosion

More information