GAAR
GAAR
GAAR
Contents
Contents
Background Existing Tax laws in India What is GAAR? GAAR in India Proposed GAAR & its Objective Key Issues! Effects & Afterthoughts Shome Committee proposals & Status Vodafone case Conclusions
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GAAR
Background
GAAR- Background
Tax avoidance like tax evasion, seriously undermines the achievements of the public finance objective of collecting revenues in an efficient, equitable and effective manner Thin line differentiates Tax Planning, Tax Benefit, Tax Avoidance and Tax Evasion. Individual or Organizations tend to save on taxes. Loop holes in tax laws
GAAR
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Indirect Tax
Excise Duty Sales Tax Service Tax Custom Duty Etc.,
SAAR Specific Anti Avoidance Rules : SAAR is a set of rules which target specific known arrangements of tax avoidance.
GAAR
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What is GAAR?
GAAR General Anti Avoidance Rules GAAR denies the tax benefits to Transactions/ Arrangements. GAAR is not a new word- Countries like Australia, Canada, Germany, France & South Africa have GAAR More than 30 Countries have introduced GAAR Other Emerging Economies have started introducing GAAR.
GAAR
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GAAR in India
Liberalized economy- since 1991. Increase in FDI Increase in number of Shell companies in Countries with Low or No Tax and having DTA or treaty with India Indian Business becoming GLOCAL Need for robust tax laws to counter tax avoidance
GAAR
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GAAR
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GAAR
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Key Issues
GAAR provision is sweeping in nature. Grants discretion to the tax authorities Has broader application and lacks clarity The onus of proving innocence is with taxpayer. There is no cut-off date for applicability of GAAR provisions. GAAR can be invoked on past arrangements irrespective of the fact that the arrangement has been approved by the tax officer or subjected to judicial review.
GAAR
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Overarching principle Deferment of GAAR 3 years Monetary threshold of Rs. 3 crores Grandfathering of Investments Main purpose test Provide negative list of transactions
GAAR
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SAAR vs GAAR GAAR vs Limitation of Benefit clause (LOB) Withholding of taxes Definition of connected persons Constitution of Approving Panel Reporting Requirement Investors of FIIs
GAAR
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The bone of contention was whether transfers of shares of a foreign company which indirectly held shares of an Indian company was taxable in India.
GAAR
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GAAR
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GAAR
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Look At Test
To ascertain the true legal nature of the transaction Factors to be kept in mind when applying this test
the concept of participation in investment the duration of time during which the holding structure exists the period of business operation in India the generation of taxable revenues in India the timing of Exit the continuity of business on such exit
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Conclusion
GAAR
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Philosophy teaches a man that he can't take it with him; taxes teach him he can't leave it behind either.
~Mignon McLaughlin,
The Second Neurotic's Notebook, 1966
GAAR
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