Law on non-taxing foreign PE profits no longer good law after insertion of s. 90(3) & Notification dated 28.08.2008 (which has clarificatory effect) The assessee, an Indian company, had a P.E. in Oman and Qatar. The net business profits of the said Oman & Qatar Branch was Rs. 2.30 crore. The assessee also earned long term capital gains on sale of assets of the said P.E. in Oman and Qatar. The assessee claimed that as the said business profits and LTCG were taxed in accordance with the taxation laws of Oman & Qatar, they were not chargeable to tax in India. The assessee relied on the judgement of the Tribunal and High Court in its own case (included in this file) where the view was taken that as the DTAA provided that the business profits & capital gains of the PE “may be taxed in the other Contracting State”, the Country of residence i.e., India loses its right to tax if the Country of source has taxed the income. This view was based on the verdicts of the Supreme Court in P.V.A.L. Kulandagan Chettiar 267 ITR 654 and that of the High Courts in R.M. Muthaiah 202 ITR 508 (Kar) & S.R.M. Firm 208 ITR 400 (Mad). The department argued that the aforesaid law was no longer good law in view of s. 90 (3) inserted by the Finance Act, 2003, which provides that any term used but not defined in the Act or the DTAA shall have the same meaning as assigned to it in the notification issued by the Central Government. Pursuant thereto, the Central Government has issued a Notification No. 91/2008, dated 28.08.2008, wherein it has been expressly provided that where the tax treaty provides that any income of a resident of India “may be taxed” in other country, such income shall be included in his total income chargeable to tax in India in accordance with the provisions of the Act and relief shall be granted in accordance with the method of elimination or avoidance of double taxation provided in the DTAA. HELD by the Tribunal: |
Friday, 6 September 2013
Essar Oil Limited vs. ACIT (ITAT Mumbai)
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Court Decisions
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