EPC Contracts - Evolution of Judicial Interpretations: Sudhir Kapadia, Executive Director & Head of Tax November 19, 2007
EPC Contracts - Evolution of Judicial Interpretations: Sudhir Kapadia, Executive Director & Head of Tax November 19, 2007
EPC Contracts - Evolution of Judicial Interpretations: Sudhir Kapadia, Executive Director & Head of Tax November 19, 2007
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Features of EPC contracts
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EPC – Key Aspects
Situs of services
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Objectives of Contract Structuring
Optimization of Certainty in
taxes tax impact Ease of Commercial
• minimization • definite taxable implementation imperatives
of taxes base • minimizing not to be
• ensure • responsibility to exposures compromised
availability pay tax • avoiding
of all • factor litigation
concessions/ ‘change in law’
exemptions
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EPC – Contract Structures
Single Contract
Sub-Contracts
- Exposes entire
contract revenues to tax
- All parties are taxable
Contract
structures
Consortium Contracts
- Exposure to AOP if not Multiple Contracts
- Optimizes taxes
structured appropriately
and facilitates
- CBDT instruction 1829 planning avenues
supports non-AOP view
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CBDT I No 1829 - Taxability of non-residents engaged in
the execution of power projects on turnkey basis
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Key Tax Rulings
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AAR - (228 ITR 487) Aug 1995
Facts
French Co to provide complete project services on a single point under
an Umbrella Agreement (ie separate onshore and offshore agreement
for each scope of work)
Agreement Activities
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AAR - (228 ITR 487) Aug 1995 (contd…)
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DCIT v. Roxon 291 ITR 275 (Mumbai ITAT)
Aug 2006 (contd…)
Held
Payment for supply of equipment not taxable in India
Installation PE comes into existence after the equipment
was supplied
Even if found supplies integral to activities of the PE no
attribution to PE unless supplies are not at arm’s length
price
Force of attraction rule not applicable since same or
similar activities not carried out through the PE
SNC Lavalin/Acres Inc. (Delhi ITAT) – On differing facts
Force of Attraction applied based on provisions of the India- Canada treaty
- entire composite contract receipts to tax
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Ishikawajima Harima Heavy Industries Ltd.
(IHHI) v. DIT 288 ITR 408 (SC) Jan 2007
IHHI
Offshore supply &
offshore services –
not taxable
Japan
India
Onshore supply,
Contract signed in India onshore services
and construction and
Petronet erection -- taxability not
LNG Ltd. in dispute
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IHHI - Key Observations
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IHHI - Key Observations
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IHHI - Key Issues
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CIT(A) v. Hyundai Heavy Ind Co Ltd
291 ITR 482 (SC) May 2007
Facts in brief
Single contract for lumpsum value - divisible into two parts
designing and fabrication of platform
installation and commissioning of platform
Installation and commissioning lasted for less than nine
months
Fabricated platform handed over outside India prior to
emergence of installation PE
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CIT(A) v. Hyundai Heavy Ind Co Ltd
291 ITR 482 (SC) May 2007 (contd…)
Held
Profits to be ascertained by making an artificial division
between profits earned in India and profits earned outside
India
Payment for fabrication of equipments not taxable in India
Installation PE comes into existence only on installation of
fabricated platforms
Even if found supplies integral to activities of the PE no
attribution to PE unless supplies are not at arm’s length
price
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Ansaldo Energia SPA v. ADIT (ITAT, Chennai)
July 2007
Facts
Single bid offered by FCo in response to request for a single bid for
setting up two thermal plants
Subsequently contract split between FCo and Indian subsidiary (‘ICo’)
into –
Contract I & II - Off-shore supply and onshore services (FCo)
Contract III & IV - Onshore supply and services (contracted to ICo of
FCo at its request)
ICo not equipped with requisite experience, manpower, finance
All the liabilities/ responsibilities with FCo
Common managers and premises used by FCo and sub
FCo gave discounts for Contracts III & IV
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Ansaldo Energia SPA v. ADIT (ITAT, Chennai)
July 2007 (contd…)
Held
Corporate veil lifted in absence of substance
Reliance placed by FCo on Circular 1829 and Ishikawajima SC
disregarded
Contracts I & IV treated as a composite contract and fully taxable
Offshore supply of equipment to the extent carried out in India
(fabrication) connected to the PE in India and taxable in India
Form v. Substance
Terms of the contract, Conduct of the parties and
Circumstances of the case are critical for building substance
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Way ahead…
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Way ahead – Structuring contracts
Offshore supply
Performance
Offshore services guarantee
agreement
Onshore supply Project Owner Between
Project Owner
and Contractor
Onshore services
- unskilled
Onshore services
– skilled
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Way ahead (contd...)
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Thank you!
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Presenter’s contact details
Name: Sudhir Kapadia
KPMG India Private Limited
Phone number: +91 (22) 3983 5700
Email: shkapadia@kpmg.com
www.in.kpmg.com
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