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TAXATION OF NON-RESIDENTS

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Title: TAXATION OF NON-RESIDENTS


1
TAXATION OF NON-RESIDENTS
  • By Sushil Lakhani
  • ( For Ahmadabad Sub Chapter Of International
    Fiscal Association
  • On 16th February, 2008)

2
Scope Of The Presentation
  • Definition of Non-Residents
  • Taxability of Non-Residents under the Income Tax
    Act,1961
  • DTAAs and how to use them for reducing taxes
  • An Overview of TDS u/s 195 Certification by CA
  • Some Controversial Issues
  • Taxability of Reimbursement of Expenses

16th February, 2008
IFA-Ahmedabad
3
Definition of Non-Residents
  • 1. Resident as per I.T. Act
  • Individual
  • (i) Physical presence 182 days in a F.Y. or
  • (ii) Physical presence 365 days in four
    preceding F.Y. and 60 days in the F.Y. or
  • (iii) If a crew of Indian ship, or a NRI who
    comes on leave, or Indian citizen leaves India
    for the purpose of employment outside India
    physical presence 182 days irrespective of
    presence in preceding four years.

16th February, 2008
IFA-Ahmedabad
4
Definition of Non-Residents (contd)
Resident as per I.T. Act ( contd )
  • Company
  • (i) control management wholly in India (Radha
    Rani Holding-110 TTJ 920(Delhi))
  • or
  • (ii) if Indian company
  • Other Entities ( HUFs, Firms etc.)
  • Resident unless control management wholly
    outside India

16th February, 2008
IFA-Ahmedabad
5
Definition of Non-Residents (contd)
  • Planning with respect to Residential status
    (Precautions)
  • Day of arrival day of departure from India are
    counted as one day each in India (i.e. 2 days
    stay) (223 ITR 462-AAR).
  • In the 1st year of leaving India ensure that you
    leave before September 28th otherwise world
    income will be taxable.
  • On final return (not on leave) to India ensure to
    come back on or after Feb. 1st if present for 365
    days in previous 4 years. If not, one can return
    on September 28th.

16th February, 2008
IFA-Ahmedabad
6
Taxability of non-residents under the Income Tax
Act,1961
  • . Section 5- Scope of income of a NR NOR
  • (i) Received or deemed to be received in India
    and/or
  • (ii) Accrues or arises or is deemed to accrue
    or arise in India.
  • ( Notes - NORs income accruing or arising
    outside India excluded only if it is not derived
    from a business controlled in India or a
    profession set up in India.)

16th February, 2008
IFA-Ahmedabad
7
Taxability of non-residents under the Income Tax
Act,1961(contd)
  • . Deemed to accrue or arise in India meaning
    of

Section Sources Of Income Description
9(1)(i) Business Income Income from a business connection in India or through or from any property or capital asset or source of income or transfer of capital asset situated in India.
9(1)(ii) Salaries Salaries for services rendered in India.
9(1)(iii) Salaries Salaries by Govt. for services outside India.
9(1)(iv) Dividend Dividend paid by an Indian Company outside India. (now Exempt)
9(1)(v) Interest Interest by Govt. or by a resident (unless for a business or source outside India)
9(1)(vi) Royalty Royalty by Govt. or a resident (unless for a business or a source outside India).
9(1)(vii) FTS Fees for Technical Services (FTS) by Govt. or a resident (unless for a business or a source outside India).
16th February, 2008
IFA-Ahmedabad
8
Taxability of non-residents under the Income Tax
Act,1961(contd)
  • Special Provisions For Computing Profits And
    Gains In Case Of Non-Residents Engaged In Certain
    Business

Sec 44B Sec 44BB Sec 44BBA Sec 44BBB
This section applies to- non-resident engaged operation ships. non-resident engaged in providing service/ facilities or supplying plant/ machinery for extraction or production of mineral oils (including petroleum and natural gas) non-resident engaged in operation of aircraft. foreign company engaged in civil construction or erection, testing or commissioning of plant or machinery in connection with an approved turnkey power project
Deemed Income 7½ of gross receipts 10 of gross receipts 5 of gross receipts 10 of gross receipts
16th February, 2008
IFA-Ahmedabad
9
Taxability of non-residents under the Income Tax
Act,1961 (contd)
  • Relevant Income tax Rules
  • Rule 10
  • percentage of turnover or
  • proportion to total receipts or
  • any other reasonable
  • Rule 26 - Exchange Rate Applicable for TDS
  • Rule 115- Exchange Rate Applicable for Returns
  • Chapter XII A For NRIs
  • Transfer Pricing Sec. 92 to Sec 92F

16th February, 2008
IFA-Ahmedabad
10
Taxability of non-residents under the Income Tax
Act,1961 (contd)
  • Taxability of a Business Income of Non-Resident
    Sec. 9(1)(i)
  • Taxability if Business Connection exists or
    if asset or source in India.(Vodafone ?)
  • (R.D. Agarwal (56 ITR 20(SC))Cir. 23 of 1969
    Cir. 786)
  • Taxable only to the extent reasonably
    attributable to operations in India.
  • Morgan Stanly-292 ITR 416 (SC)
  • Galileo(ITAT - Delhi)
  • Rolls Royce (ITAT - Delhi)
  • Specific exclusions Explanation 1(b)1(c)
    1(d) of Section 9(1)(i)
  • Specific Inclusions - Explanation 2 to
    section 9 (1)(i)
  • Treaty Concept of
    dependent agent introduced in Act (Set
    Satellite-106 ITD 175)Galileo(ITAT -Delhi)
    Rolls Royce (ITAT -Delhi) )
  • Agent need not be in India but
    must act in India.
  • (Also refer Specialty Magazine (274 ITR
    310(AAR))Difference between mailnly almost
    wholly)

16th February, 2008
IFA-Ahmedabad
11
Taxability of non-residents under the Income Tax
Act,1961 (contd)
  • Taxabilty of a Business Income (of
    Non-Resident)(Cont)
  • Some important observations of SC in 288 ITR 408
  • Mere existence of a business connection may not
    result in income accruing or arising in India
  • Existence of a Permanent Establishment does not
    necessarily mean existence of a business
    connection
  • Where severable part of a composite contract are
    performed in different jurisdictions , the
    principal of apportionment should be applied to
    determine profits taxable in each jurisdiction

16th February, 2008
IFA-Ahmedabad
12
DTAA s How to use them for reducing taxes
  • Treaty Override
  • Can a treaty impose higher tax burden than under
    the Domestic Laws?
  • Brief Introduction of DTAAs
  • Use of concept of PE effective connection to a
    PE
  • Use of definitions of FTS Royalty under the
    Treaties

16th February, 2008
IFA-Ahmedabad
13
DTAA s How to use them for reducing taxes
(contd)
  • Use Some Other Treaty concepts like
  • Force of Attraction (110 TTJ 13(Delhi))
  • Residency MFN Clause,
  • Tax sparing Credit, Underlying Tax Credit
  • Non Discrimination
  • No surcharge to be added to treaty rates

16th February, 2008
IFA-Ahmedabad
14
An Overview of TDS u/s 195 Certification by
CA
  • Sec. 195(1) - Scope conditions for
    applicability
  • Sec. 195(2) - Application by payer to A.O. for
    lower deduction of tax
  • Sec. 195(3 4) - Application by payee to A.O.
    for lower deduction of Tax
  • Sec. 195(5) - Powers to CBDT to make Rules

16th February, 2008
IFA-Ahmedabad
15
An Overview of TDS u/s 195 Certification by CA
(contd)
  • Difference between Section 195(2) Section 197
  • Appeal against order u/s. 195(2) (Section 248)
  • within 30 days of payment of tax.

Revision possible u/s263 against order u/s
195(2) (BCCI vs. DIT (96 ITD 263))
  • Refund to deductor of tax deducted ?
    (Circular 790)

16th February, 2008
IFA-Ahmedabad
16
An Overview of TDS u/s 195 Certification by CA
(contd)
  • Certification by CA for remittances
  • Beneficiary Meaning
  • Tax Residency Certificate (Azadi Bachao (263 ITR
    706(SC))Radha Rani Holding (110TTJ 920 (Delhi)))
  • Whether CA dutybound to determine existence of
    PE ?
  • Determination of Profits attributable to PE.
    (Morgan Stanly (292 ITR 416(SC)),Galileo(ITAT -
    Delhi) Rolls Royce (ITAT-Delhi)
  • Whether CA Certificate an alternative to u/s
    195(2) (Mahindra Mahindra Ltd.(106 ITD 521
    (Mum)))
  • Validity period of undertaking/ declarations from
    payee for a year or for a single payment?

16th February, 2008
IFA-Ahmedabad
17
tAXABILITY OF reIMBURSEMENT OF EXPENSES
  • Reimbursement of Expenses
  • Types
  • Reimbursement of incidental expenses in addition
    to fees.
  • Reimbursement of allocated / shared costs.
  • Payment for services at cost or cost plus basis
  • Reimbursement of cost of third party.
  • Reimbursement of salaries living allowance of
    deputies.

16th February, 2008
IFA-Ahmedabad
18
tAXABILITY OF reIMBURSEMENT OF EXPENSES (CONTD)

Reimbursement of Expenses (contd)
  • CIT Vs. TELCO (245 ITR 823 (Bombay))
  • CIT Vs. Industrial Projects (202 ITR 1014-Delhi)
  • Clifford Chance 82 ITD 106-Mumbai)
  • Mahindra Mahindra Ltd. (10 SOT 896 (Mum))
  • Against
  • Cochin Refineries (222 ITR 354 (Ker))
  • Hindalco (278 ITR 125 (AT))

16th February, 2008
IFA-Ahmedabad
19
tAXABILITY OF reIMBURSEMENT OF EXPENSES (CONTD)
Reimbursement of Expenses
  • CIT Vs. Dunlop (142 ITR 493 (Cal))
  • Danfoss Ind. (268 ITR 1 (AAR))

Reimbursement of services at cost or cost plus
basis
  • Timkin (273 ITR 67 AAR)

Reimbursement of cost of third party
  • Wallace Pharma (278 ITR 97 AAR)

16th February, 2008
IFA-Ahmedabad
20
tAXABILITY OF reIMBURSEMENT OF EXPENSES (CONTD)
Reimbursement of Expenses
Reimbursement salaries living allowances to
deputies
Held salaries of technicians
  • HCL Infosystems (274 ITR 261 Delhi)
  • CIT Vs. BHEL (252 ITR 218 Delhi)(222 ITR 551
    Tekniskil (Sendirian) Berhard)(AAR)

Held as FTS salaries
  • 230 ITR 206 (AAR) Steffen , Robertson Kirsten
    Consulting Engineers Scientists, IN RE-
  • AT S India (P) Ltd. (287 ITR 421 (AAR))

16th February, 2008
IFA-Ahmedabad
21
Thanking You Sushil Lakhani 4th Floor, Bharat
House, 104, Mumbai Samachar Marg, Fort, Mumbai
400023 Tel No. 022-40693926/15 Email-id
lakhani.sushil_at_gmail.com
16th February, 2008
IFA-Ahmedabad
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