residential status and its effect on tax incidence

F
BBA VI
SUBJECT: INCOME TAX
Unit 1
1
Why Study Residential Status?
• Tax incidence on an assessee depends on his residential
status. For instance, whether an income, accrued to an
individual outside India, is taxable in India depends upon the
residential status of the individual in India.
• Similarly, whether an income earned by a foreign national in
India or outside India is taxable in India depends on the
residential status of the individual, rather than on his
citizenship.
• Therefore, the determination of the residential status of a
person is very significant in order to find out his tax liability.
2
Taxable Entity
 A taxable entity can be:
 An Individual,
 A Hindu Undivided Family,
 A firm,
 An Association of Persons,
 Joint stock company and
 any other person.
3
How to find out Resi.
Status:-
 The following table explains how these are subcategorized
with respect to their residential status.
4
INDIVIDUAL
/HUF
RESIDENT
ORDINARY
NON-
ORDINARY
NON-
RESIDENT
Others included in
definition of “person”
RESIDENT
NON-
RESIDENT
Determining the Residential Status
of An Individual
Section 6(1): This section applies to individuals. If an
individual is to qualify as resident of India, he has to
fulfill at least one of the following two conditions:
5
Condition Explanation
1 He is in India in the previous year for a period of 182 days or more
2 He is in India for a period of 60 days or more during the previous
year and 365 days or more during 4 years immediately preceding
the previous year
Determining if a resident is an ordinary
resident
 Section 6(6): This section applies to individuals. If an
individual is to qualify as an ordinary resident of India, he
has to fulfill both of the following two conditions in addition to
fulfilling the criteria as provided in section 6(1):
6
Condition Explanation
1 He has been resident in India in at least 2 out of 10
previous years immediately preceding the relevant
previous year.
2 He has been in India for a period of 730 days or
more during 7 years immediately preceding the
relevant previous year.
Individuals satisfying conditions of Sec 6(1) but not Sec 6(6) will be
classified as Resident Non ordinary individuals.
Rules of Residence status:
 Resident and ordinarily resident : Must
satisfy at least one of the basic conditions
and both of the additional conditions.
 Resident and ordinarily resident: Must satisfy
at least one of the basic conditions and one
or none of the additional conditions.
 Non-resident : Must satisfy none of the basic
conditions.
Illustration 1
8
Question :-
X left India for the first time on May 20, 2003. During the financial year
2005-06, he came to India once on May 27 for a period of 53 days.
Determine his residential status for the assessment year 2006-07.
ANSWER:-
Since X comes to India only for 53 days in the previous year 2005-06, he
laid down in section 6(1). He is, there for the assessment year 2006-07.
Determining the Residential
Status of HUF:
 Section 6(2): This section applies to Hindu
Undivided Family. The distinction under this section
is made as:
“A Hindu undivided family is said to be resident in
India if control and management of its affairs is
wholly or partly situated in India. A Hindu undivided
family is non-resident in India if control and
management of its affairs is wholly situated outside
India.”
 Control and management is situated at a place
where the head, the seat and the directing power
are situated.
 Section 6(6)(b): A resident Hindu undivided family is an
ordinarily resident in India if the karta or manager of the
family business satisfies the following two additional
conditions:
10
Condition Explanation
1 Karta has been resident in India in at least 2 out of
10 previous years immediately preceding the
relevant previous year.
2 Karta has been in India for a period of 730 days or
more during 7 years immediately preceding the
relevant previous year.
If Conditions stipulated in Section 6(6)(b) are not satisfied by a HUF
fulfilling conditions stipulated in Section 6(b), then it is classified as a
resident non-ordinary HUF.
Rules :
 Control and management of the affairs of a
HUF is-
 Wholly in india- resident and ordinarily resident.
 Wholly out of india : non-resident.
 Partly in india and partly outside india: if karta does
not satisfy the additional conditions, a resident
HUF is treated as resident but not ordinarily
resident in india.
Example:-
 X an individual is resident but not
ordinarily resident in india for the
assessment year 2009-10. during the
previous year 2008-09 the affairs of x a
HUF whose karta is X since 1960, are
partly managed from delhi and partly
from nepal. Determine the residential
status of X HUF for the assessment year
2009-10.
Residential Status of
Firm/Association of Persons
 As per section 6(2), a partnership firm
and an association of persons are said
to be resident in India if control and
management of their affairs are wholly
or partly situated within India during the
relevant previous year.
 They are, however, treated as non-
resident in India if control and
management of their affairs are situated
wholly outside India.
13
Residential Status of Company
 As per section 6(3), an Indian company is
always resident in India.
 A foreign company is resident in India only
if, during the previous year, control and
management of its affairs is situated wholly
in India.
 However, a foreign company is treated as
non-resident if, during the previous year,
control and management of its affairs is
either wholly or partly situated out of India.
14
INCIDENCE OF TAX
PARTICULARS OR NOR NR
Income received or deemed to be received in
India whether earned in India or elsewhere
Yes Yes Yes
Income accrues or arises or is deemed to
accrue or arise in India, whether received in
India or elsewhere
Yes Yes yes
Income which accrues or arises outside India
and received outside India from a business
controlled from India
Yes Yes no
Income which accrues or arises outside India
from any other source
Yes no no
Income which accrues or arises outside India
and received outside India during the years
preceding the Pys and remitted to india
during the PY
No No No
15
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residential status and its effect on tax incidence

  • 1. BBA VI SUBJECT: INCOME TAX Unit 1 1
  • 2. Why Study Residential Status? • Tax incidence on an assessee depends on his residential status. For instance, whether an income, accrued to an individual outside India, is taxable in India depends upon the residential status of the individual in India. • Similarly, whether an income earned by a foreign national in India or outside India is taxable in India depends on the residential status of the individual, rather than on his citizenship. • Therefore, the determination of the residential status of a person is very significant in order to find out his tax liability. 2
  • 3. Taxable Entity  A taxable entity can be:  An Individual,  A Hindu Undivided Family,  A firm,  An Association of Persons,  Joint stock company and  any other person. 3
  • 4. How to find out Resi. Status:-  The following table explains how these are subcategorized with respect to their residential status. 4 INDIVIDUAL /HUF RESIDENT ORDINARY NON- ORDINARY NON- RESIDENT Others included in definition of “person” RESIDENT NON- RESIDENT
  • 5. Determining the Residential Status of An Individual Section 6(1): This section applies to individuals. If an individual is to qualify as resident of India, he has to fulfill at least one of the following two conditions: 5 Condition Explanation 1 He is in India in the previous year for a period of 182 days or more 2 He is in India for a period of 60 days or more during the previous year and 365 days or more during 4 years immediately preceding the previous year
  • 6. Determining if a resident is an ordinary resident  Section 6(6): This section applies to individuals. If an individual is to qualify as an ordinary resident of India, he has to fulfill both of the following two conditions in addition to fulfilling the criteria as provided in section 6(1): 6 Condition Explanation 1 He has been resident in India in at least 2 out of 10 previous years immediately preceding the relevant previous year. 2 He has been in India for a period of 730 days or more during 7 years immediately preceding the relevant previous year. Individuals satisfying conditions of Sec 6(1) but not Sec 6(6) will be classified as Resident Non ordinary individuals.
  • 7. Rules of Residence status:  Resident and ordinarily resident : Must satisfy at least one of the basic conditions and both of the additional conditions.  Resident and ordinarily resident: Must satisfy at least one of the basic conditions and one or none of the additional conditions.  Non-resident : Must satisfy none of the basic conditions.
  • 8. Illustration 1 8 Question :- X left India for the first time on May 20, 2003. During the financial year 2005-06, he came to India once on May 27 for a period of 53 days. Determine his residential status for the assessment year 2006-07. ANSWER:- Since X comes to India only for 53 days in the previous year 2005-06, he laid down in section 6(1). He is, there for the assessment year 2006-07.
  • 9. Determining the Residential Status of HUF:  Section 6(2): This section applies to Hindu Undivided Family. The distinction under this section is made as: “A Hindu undivided family is said to be resident in India if control and management of its affairs is wholly or partly situated in India. A Hindu undivided family is non-resident in India if control and management of its affairs is wholly situated outside India.”  Control and management is situated at a place where the head, the seat and the directing power are situated.
  • 10.  Section 6(6)(b): A resident Hindu undivided family is an ordinarily resident in India if the karta or manager of the family business satisfies the following two additional conditions: 10 Condition Explanation 1 Karta has been resident in India in at least 2 out of 10 previous years immediately preceding the relevant previous year. 2 Karta has been in India for a period of 730 days or more during 7 years immediately preceding the relevant previous year. If Conditions stipulated in Section 6(6)(b) are not satisfied by a HUF fulfilling conditions stipulated in Section 6(b), then it is classified as a resident non-ordinary HUF.
  • 11. Rules :  Control and management of the affairs of a HUF is-  Wholly in india- resident and ordinarily resident.  Wholly out of india : non-resident.  Partly in india and partly outside india: if karta does not satisfy the additional conditions, a resident HUF is treated as resident but not ordinarily resident in india.
  • 12. Example:-  X an individual is resident but not ordinarily resident in india for the assessment year 2009-10. during the previous year 2008-09 the affairs of x a HUF whose karta is X since 1960, are partly managed from delhi and partly from nepal. Determine the residential status of X HUF for the assessment year 2009-10.
  • 13. Residential Status of Firm/Association of Persons  As per section 6(2), a partnership firm and an association of persons are said to be resident in India if control and management of their affairs are wholly or partly situated within India during the relevant previous year.  They are, however, treated as non- resident in India if control and management of their affairs are situated wholly outside India. 13
  • 14. Residential Status of Company  As per section 6(3), an Indian company is always resident in India.  A foreign company is resident in India only if, during the previous year, control and management of its affairs is situated wholly in India.  However, a foreign company is treated as non-resident if, during the previous year, control and management of its affairs is either wholly or partly situated out of India. 14
  • 15. INCIDENCE OF TAX PARTICULARS OR NOR NR Income received or deemed to be received in India whether earned in India or elsewhere Yes Yes Yes Income accrues or arises or is deemed to accrue or arise in India, whether received in India or elsewhere Yes Yes yes Income which accrues or arises outside India and received outside India from a business controlled from India Yes Yes no Income which accrues or arises outside India from any other source Yes no no Income which accrues or arises outside India and received outside India during the years preceding the Pys and remitted to india during the PY No No No 15
  • 16. 16