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INDIAN BUDGET 2013
A SUMMARY OF THE BUDGET PROPOSALS MADE BY THE MINISTER
OF FINANCE, GOVERNMENT OF INDIA, 2013
Table of Contents
Few Thoughts .................................................................................... 3
Part I ................................................................................................. 4
    Direct Tax ......................................................................................... 4
Part II ............................................................................................. 13
    Indirect Tax ..................................................................................... 13
       Customs ....................................................................................... 13
       Excise .......................................................................................... 19
       Service Tax .................................................................................. 21




1
Few Thought



    Unarguably, world economy has suffered a setback after 2007. Some
emerging economies did reflect growth after 2007, but the rate of growth is
slow and it appears to be fading like the Cheshire Cat smile. Slow growth is
resultant of crumbling of financial institutions like an apple pie. Even though failure of
financial institution has occurred in advanced economies, the tremors of crumble are
experienced in developing economies as well. To revive economies it is imperative to
strengthen the structure that provide finance to corporations. Strengthening solely
domestic financing structure would not suffice. It is necessary that along with
domestic financing structure, cross border investment and financing modalities
should be revived and replenished with trust.

       This year, Minister of Finance leaves us with mixed feelings. Enhancement of
rate of surcharge, increase in rate of tax of royalties and fee for technical services,
continuation of Dividend Distribution Tax and levy of new tax on buy back of shares
would result in returns to foreign investors on Foreign Direct Investments in India
slighter. Tax relief on Infrastructure Bonds, Securitization Trust, a pass through status
to Alternative Investment Fund, relief to investor of Mutual Funds and Infrastructure
Bonds (NBFC or Mutual Funds both) reflects commitment and desire to have a strong
bond market that would enhance availability of finance to corporations.

     Controversial GAAR provisions are put on hold and shall not see the light of the day
until April Fool’s Day in 2016. A clarification on tax residency certificate has left many
disgruntled. Be that as it may, the restrain on returns on foreign direct investment
should be reconsidered.




2
This note provides a brief of the proposed changes to the Income Tax Act
1961 that shall impact on corporate (domestic and foreign) that have
business in India. Part I summarizes Direct Tax and Part II contains
Indirect Tax.

                               PART – I

Direct Tax

Rate of Tax

The following rates are proposed in respect of business income of the
Domestic and the Foreign Companies:




                 Slabs                            Income Tax

                 (USD)                Domestic             Foreign

         0 – 200,000                 30.90 (30+3)        41.2 (40+3)


         200,000 – 2,000,000     32.45(30+5+3)         42.02( 40+2+3)

         2,000,000     –   and
         above                   33.9( 30+10+3)         43.26(40+5+3)


The Dividend Distribution      Tax   (DDT)   is   levied at the   rate   of
16.9959(15+10+3)

The Royalties and Fee for Technical Services shall be taxed at the rate of
28.3 (25+10+3)




3
Tax on transaction in relation to Commodities Derivatives

It is proposed that a new tax on the sale of commodities derivatives is
levied at the prescribed rates.

This tax shall be levied from the tax year 2013-14

This tax is a deductible expense in accordance with the provisions of
Section 36 of the Income Tax Act;

This deduction shall apply from the tax year 2013-14.

Tax on Income by way of Royalty or Fees for Technical Services

Presently, the domestic tax prescribes that the royalties and fee for
technical services shall be taxed at a rate of 10%. Whereas the Double
taxation Avoidance Agreement (DTAA) with several countries prescribe
that the royalties and fee for technical services shall be taxed at a rate
which may vary between 10%-25%. As the domestic tax prescribes for a
lower rate of taxation, a non resident tax payer that could take benefit of
the treaty is taxed at the rate of 10%.

It is proposed that the benefit as provided by the present domestic tax
shall be withdrawn and the royalties and fee from technical service shall
be taxed at the rate of 25%. Please note that the relief provided in terms
of the double taxation avoidance agreement shall be available to the tax
payer.

Incentive for acquisition and installation of new plant or
machinery by manufacturing company

An investment linked deduction equal to 15% of the aggregate amount of
actual cost of new assets acquired and installed shall be provided to the
tax payer if such investment is more than USD 20,000,000.

To claim the deduction, tax payer shall be restricted from transferring the
new assets for a period of 5 years provided that such transfer is not
occasion by merger or a demerger of two companies.




4
This amendment shall take effect from the tax year 2014-15.

Extension of incentives to power sector

The deduction provided in terms of the existing provisions of the domestic
tax to power generation, distribution and transmission companies were to
lapse with the year ending 31, March 2013. These deductions could be
availed by the companies engaged in power generation, distribution and
transmission for another year i.e until 31, March 2014.

Exemption from tax to Investor Protection Fund of depositories

The Income by way of contributions from a recognized stock exchange
received by a Investor Protection Fund set up by a recognized stock
exchange is exempt from taxation.

The income by way of contribution from a depository of the Investor
Protection Fund shall not be included in total income.

The exemptions shall be applicable for tax year 2014-15.

Tax on Dividends received from foreign companies

Dividends received from foreign company (in which Indian Company holds
more than 26% share) by an Indian Company shall be taxed at the rate of
15% if such dividend is included in total income.

This lower rate of taxation shall apply for the tax year 2014-15.

Dividend Distribution Tax (DDT)

It is proposed that in the event a foreign subsidiary of an Indian Holding
Company declares dividend to the Indian Holding company and the Indian
Holding Company declares a dividend in the same financial year, than the
dividend declared by the Foreign Subsidiary to an Indian Holding
Company shall not be subjected to DDT.

This provision shall become effective from June 1, 2013.




5
Tax on Infrastructure bonds

The beneficial rate of tax at the rate of 5% on interest payments by an
Indian Company to a Non Resident if such Indian Company raises loans or
issues long terms Infrastructure Bonds to borrow money in foreign
currency is now proposed to be extended to such cases where the non-
resident operates a designated bank account and coverts foreign currency
into Indian Rupees to subscribe to such Infrastructure Bonds or lend.

This amendment shall take effect from June 1, 2013

Taxation of Securitization Trusts

A special regime of taxation is proposed for income of trust engaged in
Securitization. It is proposed that:
   (i)     Income of Securitization Trust set up and regulated by SEBI or
           RBI shall be exempt from tax;
   (ii)    Income of Securitization Trust distributed to its investors shall
           be subject to Distribution tax, if income of such investor is
           chargeable to tax and no tax shall be payable if income of such
           Investor is not chargeable to tax;
   (iii)   The Income of Securitization Trust so distributed shall not be
           subject to tax in the hands of the Investors;

These amendments shall take effect from June 1, 2013.


Tax on Alternative Investment Funds

An amendment is proposed to the provisions related to tax on income of
Venture Capital Company (VCC) and Venture Capital Fund (VCF) from
investment in Venture Capital Undertaking (VCU) in light of the recent
repeal of SEBI (Venture Capital fund) Regulations 1996 and replacement
with SEBI (Alternative Investment Fund) Regulations 2012. In terms of
Section 10 (23FB) read with 115U, a pass through status is provide to VCF
and VCC as their income is taxable in the hands of their investors.

It is proposed to amend Section 10 (23FB) and continue the pass through
status in such a manner that:




6
(i)    The VCF and VCC registered prior to repeal of SEBI (Venture
       Capital fund) Regulations 1996 shall avail a pass through status;
(ii)   The VCC and VCF established in terms of SEBI (Alternative
       Investment Fund) Regulations 2012 shall avail pass through status
       provided certain specified conditions are fulfilled.

Capital Gains on Immovable properties

It is proposed to inset a new Section 194 – IA to oblige every buyer to
deduct tax at source at the rate of 1% from the consideration payable to
the seller of an immovable property. Provided value of such property is
not less than 50 lakhs.

Tax on buy-back of unlisted shares

It is proposed to introduce an additional income tax on buy back of shares
at the rate of 20%. The tax is charged on distributed income. The
distributed income shall be the difference of the amount received by the
Company at the time of issue of such shares and the consideration paid
for buy back of shares.

The income arising to the shareholder in respect of such buy back by the
company would be exempt where the company is liable to pay the
additional income tax on the buy-back of shares.

The amendments shall take effect from June 1, 2013.

Computation of Immovable Property

The present domestic tax law provides that the value of immovable
property (in case such immovable property is a capital asset) to be
considered for determination of tax shall be the value that the relevant
state government determines for the purposes of imposing stamp duty at
the time of registration of the transfer of the said immovable property. It
proposed that a similar provision may be adopted in case the immovable
property is a stock in trade for the tax payer and income from transfer is
treated as income under the head ‘profit and gains of business and
profession’.




7
It is also proposed that the consideration of the immovable property to be
considered for the purposes of tax shall be the value determined between
the parties on the date execute an Agreement to Sell or the value
determined by the relevant state government on the date of Agreement to
Sell. The consideration of the immovable property on the date of
registration of transfer shall not be taken into consideration.

The amendment shall take effect from April 1, 2014.

Amendment & Extension of GAAR

It is proposed that the General Anti Avoidance Rule (GAAR) provisions
may be amended to give effect to the recommendation of the Expert
Committee appointed by the Government of India (GOI) to review these
provisions. It is proposed to consider the following:

    (i)     The provisions related to GAAR shall come into effect from the
            tax year 2016 – 17;
    (ii)    An arrangement to obtain tax benefit would be an impermissible
            avoidance agreement;
    (iii)   To determine whether an arrangement is an impermissible
            arrangement factors such as period, or time for which such
            arrangement has existed, payment of tax by assessee and the
            fact that an exit route was provided by the arrangement, would
            be relevant;
    (iv)    An arrangement shall deem to lack commercial substance if it
            does not have an effect on a business risk or net cash flow of
            any party to the arrangement.
    (v)     Direction of approval panel shall be binding upon the tax payer
            and the Income Tax Authorities;
    (vi)    Definition of ‘associated parties’ and ‘connected parties’ as
            stated in the provisions of GAAR shall be merged.

These amendments shall take effect from April 1, 2016.

Tax on income distributed by the Mutual Funds

It is proposed that the rate of taxation in respect of income distributed by
the Mutual Funds to its unit holders is different for individual, HUF and




8
any other person. It is proposed that this income shall be taxed at uniform
rate of 25% in all cases.

Interest paid to a non resident investor by an Infrastructure Debt Fund -
NBFC or Infrastructure Debt Fund – Mutual Fund is taxed at different
rates. It is proposed that in both cases, the interest income to a non-
resident shall be taxed at 5%.

The amendments shall take effect from June 1, 2013.

Amendment in the definition of Capital Asset

The agricultural land is not considered to be a capital asset of a tax payer.
It is proposed to revise the definition of agricultural land.

This amendment shall take effect from April 1, 2014.

Scope of Keyman insurance policy

The existing domestic tax exempts income received under a life insurance
policy provided that such life insurance policy is not a keyman insurance
policy. It is proposed that a keyman insurance policy shall remain a
keyman insurance policy even if the policy during its term is assigned to
employee for whom such policy was taken. In other words, a keyman
insurance policy shall be considered as a keyman insurance policy even in
case it is assigned to the employee and any income received from such
insurance policy shall be subject to tax.

The amendment shall come into effect from April 1, 2014.

Political Contributions

It is proposed to amend the provisions in such a manner that any cash
contribution to a political party or an electoral trust shall not be allowed as
deduction under the provisions of the domestic tax laws;

This amendment shall come into effect from April 1, 2014.




9
Clarification of the phrase “tax due” for the purposes of recovery
in certain cases

It is proposed that the term ‘tax due’ shall include penalty, interest and
other sum payable.

Therefore, directors of such private company those fail to pay tax on
demand shall be liable to pay tax unless the directors could establish that
the private company has not failed to pay tax due to his negligence,
breach of duty or malfeasance.

Incentives for blue collar wages

A tax incentive is extended to a manufacturing unit in case it employs blue
collared workers. It is proposed that this tax incentive shall not be
available in the event factory is hived off or transferred from another
existing entity or acquired as a result of amalgamation or merger.

The amendment shall take effect from April 1, 2014

Tax Residency Certificate

The domestic tax makes a provision for production of a tax residency
certificate which provides for the prerequisite information to avail benefits
of a double tax avoidance agreement. It is proposed to clarify that the
submission of a tax residency certificate is a necessary but not a sufficient
conditions for claiming benefits under the Double taxation avoidance
agreement.




10
Part II
INDIRECT TAX
This part discusses proposed changes to the prevailing Indirect Taxation
regime which consists of duties of customs, duties of excise and service
tax. Changes to Indirect Tax are applicable immediately unless stated
otherwise.

CUSTOMS

Amendment to the Customs Act

The following amendments are proposed to the Customs Act, 1962
(Customs Act)

(i)     Section 11 of the Customs Act empowers the GOI to prohibit either
        absolutely or conditionally the import and export of any goods for
        the prescribed purpose. An amendment is proposed to add words
        “designs and geographical indications” after words ‘the protection
        of patents, trademarks and copyrights”.

(ii)    Section 28BA of the Customs Act provides for provisional
        attachment of property with prior approval of the Commissioner of
        Customs to protect the interest of revenue. It is proposed that the
        Custom Officers shall have power to provisionally attach the
        property of the tax payer in case a notice has been served as the
        duty of custom was levied, short or has not been levied because of
        collusion or, any willful mis-statement; or suppression of facts;

(iii)   Section 28E of the Customs Act provides that an Indian wholly
        owned subsidiary of a foreign holding company may apply for
        advance ruling in the case it proposed to undertake any business
        activity in India. It is proposed that to expand the scope of this
        section, the term ‘activity’ shall include any new business of import
        or export proposed to be undertaken by the existing importer or
        exporter;

(iv)    Section 29 of the Customs Act restrains a person in charge of an
        aircraft or vessel to call or land at a customs port or customs



11
airport. It is proposed that the Central Board of Central Excise and
         Customs be empower to permit a vessel and aircraft to land at a
         place other than customs port or customs airports.

(v)      Section 47 of the Customs Act empower a customs officer to clear
         goods for home consumption on payment of duty. In case duty is
         not paid, then it could be paid within five days from the date on
         which bill of entry are returned. Thereafter the duty shall be paid
         with interest. It is proposed that the number of five days now be
         reduced to two days.


(vi)     It is proposed to amend Section 49 of the Customs Act to restrict
         the period of storage of imported goods clearance of which is
         pending. Such goods cannot be stored for more than thirty days at
         a time in either public or private warehouse. The Commissioner of
         Customs is empowered to extend the days but not more than 30
         days at a time.

(vii)    Section 69 of the Customs Act provides that any goods could be
         exported, if warehoused, without payment of import duty provided
         certain conditions are met.

(viii)   In terms of the Customs Act, offences are classified as bailable
         (where criminal court is empowered to grant bail mandatorily). It is
         proposed that following offences under the Customs Act may be
         construed as non-bailable (where criminal court has to exercise
         discretion to grant bail):
         (a)    evasion or attempted evasion of duty exceeding INR
                50,00,000; (ii) prohibited goods notified under Section 11;
         (b)    import and export of goods which are not declared and their
                market price exceed USD 200,000; (iv) fraudulently availing
                any exemption from duty that exceeds USD 100,000;

         Further it is clarified that all other offences than the offences stated
         above are bailable.




12
Amendment to the Baggage Rules

The following amendments are proposed to the Baggage Rules:

(i)     To raise the duty free allowance in respect to jewellery for an
        Indian passenger who was residing abroad for over a period of one
        year or a person who is transferring his residence to India from INR
        10,000 to 50,000 in case of man and in case of woman from INR
        20,000 to INR 1,00,000.

(ii)    The duty free allowance for a crew member is increased from INR
        600 to INR 1,500.


Rate of Custom Duties

The following revisions to the duties of customs are proposed:


       Sr.         Goods             Prevailing           Proposed
       No.
        1    Dehulled oat grain          30%                 15%

        2    Hazel nuts                  30%                 10%.

        3    De-Oiled rice bran          10%                  Nil
             oil cake

        4    New passenger
             cars and other
             motor vehicles
             (high end cars)
             with cif value
             more than us$
             40,000 and/or
             engine capacity
             exceeding 3000cc
             for petrol run
             vehicles and




13
exceeding 2500 cc
          for diesel run
          vehicles             75%    100%.

     5    Motor cycle with     60%    75%
          engine capacity of
          800cc or more

     6    Limonite              Nil   10%
          unprocessed

     7    Limonite,             Nil    5%
          upgraded

     8    Bauxite               Nil   10%

     9    Stainless steel      10%     5%
          wire cloth stripe
          for use in the
          manufacture of
          catalytic
          convertors and
          their parts

     10   Stainless steel      7.5%    5%
          wire wash coat for
          use in the
          manufacture of
          catalytic
          convertors and
          their parts

     11   Pre-Forms of         10%     2%
          precious and semi-
          precious stones.

     12   Steam coal (basic)    0      2%

     13   Steam coal (cvd)     1%      2%




14
14   Bituminous coal       5%     2%
          (basic)

     15   Bituminous coal       6%     2%
          (cvd)

     16   20 specified          7.5%   5%
          machinery for use
          in leather and
          footwear industry.

     17   Yachts and motor      10%    25%
          boats

     18   Electric and hybrid
          vehicles

          basic                  Nil   Nil

          cvd                    6      6

          sad                    Nil   Nil

     19   Raw silk (not         5%     15%
          thrown)

     20   Textile machinery     7.5%   5%
          & parts

     21   Set top boxes for     5%     10%
          tv




15
Other Proposals

(i)    It is proposed to extend the time of consumption of imported
       goods by the ship repair units from a period of 3 months to 1 year.
       Similarly extensions of time are provided to aircrafts as well.

(ii)   The exemption granted in respect of education cess and secondary
       & higher education cess on aircraft and aircraft parts, soybean oil,
       olive oil etc. is withdrawn




16
EXCISE

Amendment to the Excise Act

The following amendments are proposed to the Central Excise Act, 1944
(Excise Act)

(i)            At present Section 9 of the Excise Act provides that an evasion of
               duty beyond thirty lakhs attracts imprisonment of seven years with
               fine. It is proposed to relax this provision by enhancing the limits of
               duty evasion from USD 50,000 to USD 100,000.

(ii)           It is proposed that the Section 9A of the Excise Act be amended to
               carve out certain offences such as evasion of excise duty, dealing
               with goods which under the act are liable for confiscation and
               categorized them as cognizable and non-bailable (grant of bail in
               such matter is a discretion of appropriate court where such matters
               are tried).


       (iii)      It is proposed to amend Section 11 of the Excise Act in such
                  manner that the recovery of duty could be initiated from the
                  agent of the tax payer;

       (iv)       It is proposed to amend Section 11 A of the Excise Act to
                  equate service of statement containing details of duty not paid,
                  short levied or erroneously refunded is a deemed service of
                  notice as prescribed under the Excise Act.

Rate of Custom Duties

The following revisions to the duties of customs are proposed:


               Sr.           Goods              Prevailing            Proposed
               No.
                1.     Tapioca sago                 15%                    Nil
                       (sabudana) and
                       tapioca starch




17
2.    Henna powder or
           paste
                                 15%                   Nil
     3.    Sports utility
           vehicles
                                 27%                  30%
     4.    Truck chassis         14%                  13%

     5.    Silver                 Nil                 4%
           manufactured
           from zinc/lead
           smelting
     6.    Stainless steel
           "Patta Patti" per
           machine per
           month               Rs 30,000            Rs 40,000


     7.    Ships and other                 Exempt
           vessels

     8.    On hand made
           carpets and
           carpets                         Exempt


     9.    Textile floor
           coverings of coir
           Or jute, whether                Exempt
           or not handmade


     10.   Mobile phones of      1%                   6%
           retail sale price
           exceeding Rs 2000




18
Other Proposals

The following is proposed in addition to the above:

(i)     It is proposed to clarify that the trimmed or untrimmed sheets or
        circles of copper intended for use in manufacture of handicrafts or
        utensils shall include copper and copper alloys;

(ii)    It is proposed that the ‘Zero Excise Duty Route’ in relation to
        brnaded readymade garments and made ups is restored.

(iii)   It is proposed that branded ayurvedic medicaments and
        medicaments of Unani, Siddha, Homeopathic or bio-chemic system
        are being brought under MRP based assessment with abatement of
        35% on MRP.



SERVICE TAX

Amendment to the Service Tax

The following amendments are proposed to the Finance Act, 1994
      (Service Tax Act)

(i)     The scope of Section 65 B (11) of the Service Tax Act is enhanced
        by including State Council of Vocational Training.

(ii)    It is proposed that the term designated trades shall include courses
        offered by Industrial Training Institute or Industrial Training Centre
        affiliated to State Council of Vocational Training. The services
        rendered by these Industrial Training Institute and Industrial
        Training Centre shall be part of negative list.

(iii)   Section 65B (40) of the Service Tax Act shall be amended to
        include processes carried out in terms of Medicinal and Toilet
        Preparations (Excise Duties) Act, 1955.




19
(iv)     It is proposed that the testing activities directly related to
         production of any agricultural produces like soil testing, animal feed
         testing, testing of samples from plants or animals, for pests and
         disease causing microbes will be covered by the negative list.



(v)      It is proposed to introduce a new section that shall impose penalty
         on director, manager, secretary or other office of the company,
         who is in any manner knowingly concerned with specified
         contraventions.

(vi)     It is proposed to increase the amount of tax payment of which
         should be evaded to be liable for punishment for a period of three
         years. Further failure to pay service tax collected to the credit of
         central government within 6 months shall attract a jail terms of
         seven years.

(vii)    It is proposed to classify offences under the act as non-cognizable
         and bailable offences

(viii)   It is proposed to grant a retrospective exemption to Indian
         Railways on the service tax leviable on various taxable services
         provided by them prior to July 1, 2012.

(xi)     It is proposed that where the carper area of residential unit is upto
         2000 sq. ft or the amount charged is less than USD 200,000 in case
         of construction of complex, intended for sale to a buyer taxable
         portion for service tax shall be 25%. in all other cases taxable
         portion for service tax will be 30%.

         This change will come into effect from the 1st day of March, 2013.

(x)      The exemptions limits provided by to the charitable organization to
         be eligible for payment of service tax was USD 50,000. From this
         year this exemption is withdrawn. The charitable organizations shall
         also be covered by threshold exemption.




20
(xi)   The service tax shall be levied on taxable service provided in
       restaurants with air-conditioning or central air heating in any part
       of the establishment at any time during the year.

(x)    It is proposed to withdraw the following exemptions:

       (a)   Services provided by an educational institution by way of
             renting of immovable property;
       (b)   Temporary transfer or permitting the use of enjoyment of a
             copyright relating to cinematographic films was fully exempt
             so far, now this exemption will be restricted to exhibition of
             cinematograph films in a cinema hall or cinema theatre.
       (c)   Services by way of vehicle parking to general public;
       (d)   Services provided to government, local authority, or a
             governmental authority, by way of repair or maintenance of
             aircraft.




21
Aditya Tiwari, Of Counsel, N South

B.Com., Delhi University, LLB, Delhi University; Admitted to Bar in 1999. He is a corporate commercial lawyer with
special interest in M&A, partnered and unpartnered cross border investments, corporate commercial contracting and real
estate.

Commencing his career as a specialist litigation lawyer, he has transited over the years into performing a strategic
corporate role whereby he renders generic client centric guidance, guides the client’s investment initiatives domestically
and across borders, establishes the contractual regime for its businesses, manages its compliance regime, maintains a
constant vigil over its wider commercial environment especially when strategic and pre-emptive measure are indicated
and generally represents a one stop outsourced legal support to a business.

In the infrastructure space, he maintains a quality real estate practice.

He can be contacted at aditya.tiwari@nsouthlaw.com.




                                         Advocates
                                          th
                          C-62 B, 6 Floor, Super Mart-I, DLF City-IV,
                              Gurgaon, Haryana-122 009 (India)
                             Telefax: +91-124-4042521, 4042522
                                 E-mail: mail@nsouthlaw.com
                                Website: www.nsouthlaw.com




22

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2013 budget summary

  • 1. INDIAN BUDGET 2013 A SUMMARY OF THE BUDGET PROPOSALS MADE BY THE MINISTER OF FINANCE, GOVERNMENT OF INDIA, 2013
  • 2. Table of Contents Few Thoughts .................................................................................... 3 Part I ................................................................................................. 4 Direct Tax ......................................................................................... 4 Part II ............................................................................................. 13 Indirect Tax ..................................................................................... 13 Customs ....................................................................................... 13 Excise .......................................................................................... 19 Service Tax .................................................................................. 21 1
  • 3. Few Thought Unarguably, world economy has suffered a setback after 2007. Some emerging economies did reflect growth after 2007, but the rate of growth is slow and it appears to be fading like the Cheshire Cat smile. Slow growth is resultant of crumbling of financial institutions like an apple pie. Even though failure of financial institution has occurred in advanced economies, the tremors of crumble are experienced in developing economies as well. To revive economies it is imperative to strengthen the structure that provide finance to corporations. Strengthening solely domestic financing structure would not suffice. It is necessary that along with domestic financing structure, cross border investment and financing modalities should be revived and replenished with trust. This year, Minister of Finance leaves us with mixed feelings. Enhancement of rate of surcharge, increase in rate of tax of royalties and fee for technical services, continuation of Dividend Distribution Tax and levy of new tax on buy back of shares would result in returns to foreign investors on Foreign Direct Investments in India slighter. Tax relief on Infrastructure Bonds, Securitization Trust, a pass through status to Alternative Investment Fund, relief to investor of Mutual Funds and Infrastructure Bonds (NBFC or Mutual Funds both) reflects commitment and desire to have a strong bond market that would enhance availability of finance to corporations. Controversial GAAR provisions are put on hold and shall not see the light of the day until April Fool’s Day in 2016. A clarification on tax residency certificate has left many disgruntled. Be that as it may, the restrain on returns on foreign direct investment should be reconsidered. 2
  • 4. This note provides a brief of the proposed changes to the Income Tax Act 1961 that shall impact on corporate (domestic and foreign) that have business in India. Part I summarizes Direct Tax and Part II contains Indirect Tax. PART – I Direct Tax Rate of Tax The following rates are proposed in respect of business income of the Domestic and the Foreign Companies: Slabs Income Tax (USD) Domestic Foreign 0 – 200,000 30.90 (30+3) 41.2 (40+3) 200,000 – 2,000,000 32.45(30+5+3) 42.02( 40+2+3) 2,000,000 – and above 33.9( 30+10+3) 43.26(40+5+3) The Dividend Distribution Tax (DDT) is levied at the rate of 16.9959(15+10+3) The Royalties and Fee for Technical Services shall be taxed at the rate of 28.3 (25+10+3) 3
  • 5. Tax on transaction in relation to Commodities Derivatives It is proposed that a new tax on the sale of commodities derivatives is levied at the prescribed rates. This tax shall be levied from the tax year 2013-14 This tax is a deductible expense in accordance with the provisions of Section 36 of the Income Tax Act; This deduction shall apply from the tax year 2013-14. Tax on Income by way of Royalty or Fees for Technical Services Presently, the domestic tax prescribes that the royalties and fee for technical services shall be taxed at a rate of 10%. Whereas the Double taxation Avoidance Agreement (DTAA) with several countries prescribe that the royalties and fee for technical services shall be taxed at a rate which may vary between 10%-25%. As the domestic tax prescribes for a lower rate of taxation, a non resident tax payer that could take benefit of the treaty is taxed at the rate of 10%. It is proposed that the benefit as provided by the present domestic tax shall be withdrawn and the royalties and fee from technical service shall be taxed at the rate of 25%. Please note that the relief provided in terms of the double taxation avoidance agreement shall be available to the tax payer. Incentive for acquisition and installation of new plant or machinery by manufacturing company An investment linked deduction equal to 15% of the aggregate amount of actual cost of new assets acquired and installed shall be provided to the tax payer if such investment is more than USD 20,000,000. To claim the deduction, tax payer shall be restricted from transferring the new assets for a period of 5 years provided that such transfer is not occasion by merger or a demerger of two companies. 4
  • 6. This amendment shall take effect from the tax year 2014-15. Extension of incentives to power sector The deduction provided in terms of the existing provisions of the domestic tax to power generation, distribution and transmission companies were to lapse with the year ending 31, March 2013. These deductions could be availed by the companies engaged in power generation, distribution and transmission for another year i.e until 31, March 2014. Exemption from tax to Investor Protection Fund of depositories The Income by way of contributions from a recognized stock exchange received by a Investor Protection Fund set up by a recognized stock exchange is exempt from taxation. The income by way of contribution from a depository of the Investor Protection Fund shall not be included in total income. The exemptions shall be applicable for tax year 2014-15. Tax on Dividends received from foreign companies Dividends received from foreign company (in which Indian Company holds more than 26% share) by an Indian Company shall be taxed at the rate of 15% if such dividend is included in total income. This lower rate of taxation shall apply for the tax year 2014-15. Dividend Distribution Tax (DDT) It is proposed that in the event a foreign subsidiary of an Indian Holding Company declares dividend to the Indian Holding company and the Indian Holding Company declares a dividend in the same financial year, than the dividend declared by the Foreign Subsidiary to an Indian Holding Company shall not be subjected to DDT. This provision shall become effective from June 1, 2013. 5
  • 7. Tax on Infrastructure bonds The beneficial rate of tax at the rate of 5% on interest payments by an Indian Company to a Non Resident if such Indian Company raises loans or issues long terms Infrastructure Bonds to borrow money in foreign currency is now proposed to be extended to such cases where the non- resident operates a designated bank account and coverts foreign currency into Indian Rupees to subscribe to such Infrastructure Bonds or lend. This amendment shall take effect from June 1, 2013 Taxation of Securitization Trusts A special regime of taxation is proposed for income of trust engaged in Securitization. It is proposed that: (i) Income of Securitization Trust set up and regulated by SEBI or RBI shall be exempt from tax; (ii) Income of Securitization Trust distributed to its investors shall be subject to Distribution tax, if income of such investor is chargeable to tax and no tax shall be payable if income of such Investor is not chargeable to tax; (iii) The Income of Securitization Trust so distributed shall not be subject to tax in the hands of the Investors; These amendments shall take effect from June 1, 2013. Tax on Alternative Investment Funds An amendment is proposed to the provisions related to tax on income of Venture Capital Company (VCC) and Venture Capital Fund (VCF) from investment in Venture Capital Undertaking (VCU) in light of the recent repeal of SEBI (Venture Capital fund) Regulations 1996 and replacement with SEBI (Alternative Investment Fund) Regulations 2012. In terms of Section 10 (23FB) read with 115U, a pass through status is provide to VCF and VCC as their income is taxable in the hands of their investors. It is proposed to amend Section 10 (23FB) and continue the pass through status in such a manner that: 6
  • 8. (i) The VCF and VCC registered prior to repeal of SEBI (Venture Capital fund) Regulations 1996 shall avail a pass through status; (ii) The VCC and VCF established in terms of SEBI (Alternative Investment Fund) Regulations 2012 shall avail pass through status provided certain specified conditions are fulfilled. Capital Gains on Immovable properties It is proposed to inset a new Section 194 – IA to oblige every buyer to deduct tax at source at the rate of 1% from the consideration payable to the seller of an immovable property. Provided value of such property is not less than 50 lakhs. Tax on buy-back of unlisted shares It is proposed to introduce an additional income tax on buy back of shares at the rate of 20%. The tax is charged on distributed income. The distributed income shall be the difference of the amount received by the Company at the time of issue of such shares and the consideration paid for buy back of shares. The income arising to the shareholder in respect of such buy back by the company would be exempt where the company is liable to pay the additional income tax on the buy-back of shares. The amendments shall take effect from June 1, 2013. Computation of Immovable Property The present domestic tax law provides that the value of immovable property (in case such immovable property is a capital asset) to be considered for determination of tax shall be the value that the relevant state government determines for the purposes of imposing stamp duty at the time of registration of the transfer of the said immovable property. It proposed that a similar provision may be adopted in case the immovable property is a stock in trade for the tax payer and income from transfer is treated as income under the head ‘profit and gains of business and profession’. 7
  • 9. It is also proposed that the consideration of the immovable property to be considered for the purposes of tax shall be the value determined between the parties on the date execute an Agreement to Sell or the value determined by the relevant state government on the date of Agreement to Sell. The consideration of the immovable property on the date of registration of transfer shall not be taken into consideration. The amendment shall take effect from April 1, 2014. Amendment & Extension of GAAR It is proposed that the General Anti Avoidance Rule (GAAR) provisions may be amended to give effect to the recommendation of the Expert Committee appointed by the Government of India (GOI) to review these provisions. It is proposed to consider the following: (i) The provisions related to GAAR shall come into effect from the tax year 2016 – 17; (ii) An arrangement to obtain tax benefit would be an impermissible avoidance agreement; (iii) To determine whether an arrangement is an impermissible arrangement factors such as period, or time for which such arrangement has existed, payment of tax by assessee and the fact that an exit route was provided by the arrangement, would be relevant; (iv) An arrangement shall deem to lack commercial substance if it does not have an effect on a business risk or net cash flow of any party to the arrangement. (v) Direction of approval panel shall be binding upon the tax payer and the Income Tax Authorities; (vi) Definition of ‘associated parties’ and ‘connected parties’ as stated in the provisions of GAAR shall be merged. These amendments shall take effect from April 1, 2016. Tax on income distributed by the Mutual Funds It is proposed that the rate of taxation in respect of income distributed by the Mutual Funds to its unit holders is different for individual, HUF and 8
  • 10. any other person. It is proposed that this income shall be taxed at uniform rate of 25% in all cases. Interest paid to a non resident investor by an Infrastructure Debt Fund - NBFC or Infrastructure Debt Fund – Mutual Fund is taxed at different rates. It is proposed that in both cases, the interest income to a non- resident shall be taxed at 5%. The amendments shall take effect from June 1, 2013. Amendment in the definition of Capital Asset The agricultural land is not considered to be a capital asset of a tax payer. It is proposed to revise the definition of agricultural land. This amendment shall take effect from April 1, 2014. Scope of Keyman insurance policy The existing domestic tax exempts income received under a life insurance policy provided that such life insurance policy is not a keyman insurance policy. It is proposed that a keyman insurance policy shall remain a keyman insurance policy even if the policy during its term is assigned to employee for whom such policy was taken. In other words, a keyman insurance policy shall be considered as a keyman insurance policy even in case it is assigned to the employee and any income received from such insurance policy shall be subject to tax. The amendment shall come into effect from April 1, 2014. Political Contributions It is proposed to amend the provisions in such a manner that any cash contribution to a political party or an electoral trust shall not be allowed as deduction under the provisions of the domestic tax laws; This amendment shall come into effect from April 1, 2014. 9
  • 11. Clarification of the phrase “tax due” for the purposes of recovery in certain cases It is proposed that the term ‘tax due’ shall include penalty, interest and other sum payable. Therefore, directors of such private company those fail to pay tax on demand shall be liable to pay tax unless the directors could establish that the private company has not failed to pay tax due to his negligence, breach of duty or malfeasance. Incentives for blue collar wages A tax incentive is extended to a manufacturing unit in case it employs blue collared workers. It is proposed that this tax incentive shall not be available in the event factory is hived off or transferred from another existing entity or acquired as a result of amalgamation or merger. The amendment shall take effect from April 1, 2014 Tax Residency Certificate The domestic tax makes a provision for production of a tax residency certificate which provides for the prerequisite information to avail benefits of a double tax avoidance agreement. It is proposed to clarify that the submission of a tax residency certificate is a necessary but not a sufficient conditions for claiming benefits under the Double taxation avoidance agreement. 10
  • 12. Part II INDIRECT TAX This part discusses proposed changes to the prevailing Indirect Taxation regime which consists of duties of customs, duties of excise and service tax. Changes to Indirect Tax are applicable immediately unless stated otherwise. CUSTOMS Amendment to the Customs Act The following amendments are proposed to the Customs Act, 1962 (Customs Act) (i) Section 11 of the Customs Act empowers the GOI to prohibit either absolutely or conditionally the import and export of any goods for the prescribed purpose. An amendment is proposed to add words “designs and geographical indications” after words ‘the protection of patents, trademarks and copyrights”. (ii) Section 28BA of the Customs Act provides for provisional attachment of property with prior approval of the Commissioner of Customs to protect the interest of revenue. It is proposed that the Custom Officers shall have power to provisionally attach the property of the tax payer in case a notice has been served as the duty of custom was levied, short or has not been levied because of collusion or, any willful mis-statement; or suppression of facts; (iii) Section 28E of the Customs Act provides that an Indian wholly owned subsidiary of a foreign holding company may apply for advance ruling in the case it proposed to undertake any business activity in India. It is proposed that to expand the scope of this section, the term ‘activity’ shall include any new business of import or export proposed to be undertaken by the existing importer or exporter; (iv) Section 29 of the Customs Act restrains a person in charge of an aircraft or vessel to call or land at a customs port or customs 11
  • 13. airport. It is proposed that the Central Board of Central Excise and Customs be empower to permit a vessel and aircraft to land at a place other than customs port or customs airports. (v) Section 47 of the Customs Act empower a customs officer to clear goods for home consumption on payment of duty. In case duty is not paid, then it could be paid within five days from the date on which bill of entry are returned. Thereafter the duty shall be paid with interest. It is proposed that the number of five days now be reduced to two days. (vi) It is proposed to amend Section 49 of the Customs Act to restrict the period of storage of imported goods clearance of which is pending. Such goods cannot be stored for more than thirty days at a time in either public or private warehouse. The Commissioner of Customs is empowered to extend the days but not more than 30 days at a time. (vii) Section 69 of the Customs Act provides that any goods could be exported, if warehoused, without payment of import duty provided certain conditions are met. (viii) In terms of the Customs Act, offences are classified as bailable (where criminal court is empowered to grant bail mandatorily). It is proposed that following offences under the Customs Act may be construed as non-bailable (where criminal court has to exercise discretion to grant bail): (a) evasion or attempted evasion of duty exceeding INR 50,00,000; (ii) prohibited goods notified under Section 11; (b) import and export of goods which are not declared and their market price exceed USD 200,000; (iv) fraudulently availing any exemption from duty that exceeds USD 100,000; Further it is clarified that all other offences than the offences stated above are bailable. 12
  • 14. Amendment to the Baggage Rules The following amendments are proposed to the Baggage Rules: (i) To raise the duty free allowance in respect to jewellery for an Indian passenger who was residing abroad for over a period of one year or a person who is transferring his residence to India from INR 10,000 to 50,000 in case of man and in case of woman from INR 20,000 to INR 1,00,000. (ii) The duty free allowance for a crew member is increased from INR 600 to INR 1,500. Rate of Custom Duties The following revisions to the duties of customs are proposed: Sr. Goods Prevailing Proposed No. 1 Dehulled oat grain 30% 15% 2 Hazel nuts 30% 10%. 3 De-Oiled rice bran 10% Nil oil cake 4 New passenger cars and other motor vehicles (high end cars) with cif value more than us$ 40,000 and/or engine capacity exceeding 3000cc for petrol run vehicles and 13
  • 15. exceeding 2500 cc for diesel run vehicles 75% 100%. 5 Motor cycle with 60% 75% engine capacity of 800cc or more 6 Limonite Nil 10% unprocessed 7 Limonite, Nil 5% upgraded 8 Bauxite Nil 10% 9 Stainless steel 10% 5% wire cloth stripe for use in the manufacture of catalytic convertors and their parts 10 Stainless steel 7.5% 5% wire wash coat for use in the manufacture of catalytic convertors and their parts 11 Pre-Forms of 10% 2% precious and semi- precious stones. 12 Steam coal (basic) 0 2% 13 Steam coal (cvd) 1% 2% 14
  • 16. 14 Bituminous coal 5% 2% (basic) 15 Bituminous coal 6% 2% (cvd) 16 20 specified 7.5% 5% machinery for use in leather and footwear industry. 17 Yachts and motor 10% 25% boats 18 Electric and hybrid vehicles basic Nil Nil cvd 6 6 sad Nil Nil 19 Raw silk (not 5% 15% thrown) 20 Textile machinery 7.5% 5% & parts 21 Set top boxes for 5% 10% tv 15
  • 17. Other Proposals (i) It is proposed to extend the time of consumption of imported goods by the ship repair units from a period of 3 months to 1 year. Similarly extensions of time are provided to aircrafts as well. (ii) The exemption granted in respect of education cess and secondary & higher education cess on aircraft and aircraft parts, soybean oil, olive oil etc. is withdrawn 16
  • 18. EXCISE Amendment to the Excise Act The following amendments are proposed to the Central Excise Act, 1944 (Excise Act) (i) At present Section 9 of the Excise Act provides that an evasion of duty beyond thirty lakhs attracts imprisonment of seven years with fine. It is proposed to relax this provision by enhancing the limits of duty evasion from USD 50,000 to USD 100,000. (ii) It is proposed that the Section 9A of the Excise Act be amended to carve out certain offences such as evasion of excise duty, dealing with goods which under the act are liable for confiscation and categorized them as cognizable and non-bailable (grant of bail in such matter is a discretion of appropriate court where such matters are tried). (iii) It is proposed to amend Section 11 of the Excise Act in such manner that the recovery of duty could be initiated from the agent of the tax payer; (iv) It is proposed to amend Section 11 A of the Excise Act to equate service of statement containing details of duty not paid, short levied or erroneously refunded is a deemed service of notice as prescribed under the Excise Act. Rate of Custom Duties The following revisions to the duties of customs are proposed: Sr. Goods Prevailing Proposed No. 1. Tapioca sago 15% Nil (sabudana) and tapioca starch 17
  • 19. 2. Henna powder or paste 15% Nil 3. Sports utility vehicles 27% 30% 4. Truck chassis 14% 13% 5. Silver Nil 4% manufactured from zinc/lead smelting 6. Stainless steel "Patta Patti" per machine per month Rs 30,000 Rs 40,000 7. Ships and other Exempt vessels 8. On hand made carpets and carpets Exempt 9. Textile floor coverings of coir Or jute, whether Exempt or not handmade 10. Mobile phones of 1% 6% retail sale price exceeding Rs 2000 18
  • 20. Other Proposals The following is proposed in addition to the above: (i) It is proposed to clarify that the trimmed or untrimmed sheets or circles of copper intended for use in manufacture of handicrafts or utensils shall include copper and copper alloys; (ii) It is proposed that the ‘Zero Excise Duty Route’ in relation to brnaded readymade garments and made ups is restored. (iii) It is proposed that branded ayurvedic medicaments and medicaments of Unani, Siddha, Homeopathic or bio-chemic system are being brought under MRP based assessment with abatement of 35% on MRP. SERVICE TAX Amendment to the Service Tax The following amendments are proposed to the Finance Act, 1994 (Service Tax Act) (i) The scope of Section 65 B (11) of the Service Tax Act is enhanced by including State Council of Vocational Training. (ii) It is proposed that the term designated trades shall include courses offered by Industrial Training Institute or Industrial Training Centre affiliated to State Council of Vocational Training. The services rendered by these Industrial Training Institute and Industrial Training Centre shall be part of negative list. (iii) Section 65B (40) of the Service Tax Act shall be amended to include processes carried out in terms of Medicinal and Toilet Preparations (Excise Duties) Act, 1955. 19
  • 21. (iv) It is proposed that the testing activities directly related to production of any agricultural produces like soil testing, animal feed testing, testing of samples from plants or animals, for pests and disease causing microbes will be covered by the negative list. (v) It is proposed to introduce a new section that shall impose penalty on director, manager, secretary or other office of the company, who is in any manner knowingly concerned with specified contraventions. (vi) It is proposed to increase the amount of tax payment of which should be evaded to be liable for punishment for a period of three years. Further failure to pay service tax collected to the credit of central government within 6 months shall attract a jail terms of seven years. (vii) It is proposed to classify offences under the act as non-cognizable and bailable offences (viii) It is proposed to grant a retrospective exemption to Indian Railways on the service tax leviable on various taxable services provided by them prior to July 1, 2012. (xi) It is proposed that where the carper area of residential unit is upto 2000 sq. ft or the amount charged is less than USD 200,000 in case of construction of complex, intended for sale to a buyer taxable portion for service tax shall be 25%. in all other cases taxable portion for service tax will be 30%. This change will come into effect from the 1st day of March, 2013. (x) The exemptions limits provided by to the charitable organization to be eligible for payment of service tax was USD 50,000. From this year this exemption is withdrawn. The charitable organizations shall also be covered by threshold exemption. 20
  • 22. (xi) The service tax shall be levied on taxable service provided in restaurants with air-conditioning or central air heating in any part of the establishment at any time during the year. (x) It is proposed to withdraw the following exemptions: (a) Services provided by an educational institution by way of renting of immovable property; (b) Temporary transfer or permitting the use of enjoyment of a copyright relating to cinematographic films was fully exempt so far, now this exemption will be restricted to exhibition of cinematograph films in a cinema hall or cinema theatre. (c) Services by way of vehicle parking to general public; (d) Services provided to government, local authority, or a governmental authority, by way of repair or maintenance of aircraft. 21
  • 23. Aditya Tiwari, Of Counsel, N South B.Com., Delhi University, LLB, Delhi University; Admitted to Bar in 1999. He is a corporate commercial lawyer with special interest in M&A, partnered and unpartnered cross border investments, corporate commercial contracting and real estate. Commencing his career as a specialist litigation lawyer, he has transited over the years into performing a strategic corporate role whereby he renders generic client centric guidance, guides the client’s investment initiatives domestically and across borders, establishes the contractual regime for its businesses, manages its compliance regime, maintains a constant vigil over its wider commercial environment especially when strategic and pre-emptive measure are indicated and generally represents a one stop outsourced legal support to a business. In the infrastructure space, he maintains a quality real estate practice. He can be contacted at aditya.tiwari@nsouthlaw.com. Advocates th C-62 B, 6 Floor, Super Mart-I, DLF City-IV, Gurgaon, Haryana-122 009 (India) Telefax: +91-124-4042521, 4042522 E-mail: mail@nsouthlaw.com Website: www.nsouthlaw.com 22