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2023 (11) TMI 697 - AT - Income Tax


Issues involved:
The judgment involves the taxability of long-term capital gain claimed as exempt by the assessee under Article 13(4) of India - Mauritius Double Taxation Avoidance Agreement (DTAA).

Summary:

Delay Condonation:
The Registry reported a delay of 27 days in filing the appeal, which the assessee sought condonation for. The delay was condoned, and the appeal was admitted for adjudication on merits.

Taxability of Long-Term Capital Gain:
The dispute centered around the taxability of long-term capital gain claimed as exempt by the assessee under Article 13(4) of the India - Mauritius DTAA. The Assessing Officer raised concerns regarding the assessee's tax residency status, alleging the company was a conduit entity for treaty benefits.

TRC and Tax Residency:
The assessee, being a company incorporated in Mauritius holding a valid Tax Residency Certificate (TRC), was ordinarily to be treated as a tax resident of Mauritius. The Assessing Officer questioned the residential status, treating the company as a conduit entity for treaty benefits.

Legal Position and Precedents:
The legal position established that holding a valid TRC entitled the entity to treaty benefits. The Assessing Officer's denial of treaty benefits lacked substantive evidence to prove the company as a conduit entity.

Application of GAAR and Treaty Provisions:
While the Assessing Officer alleged tax avoidance through a conduit company, the provisions of GAAR and the LOB clause were not invoked. The authorities failed to substantiate the company's status as a conduit entity.

Judgment and Conclusion:
The Tribunal accepted the assessee's claim of exemption under Article 13(4) of the India - Mauritius DTAA, as the departmental authorities did not provide sufficient evidence to prove the company's status as a conduit entity. The Assessing Officer was directed to delete the addition, and the appeal was allowed.

Observation on Legal Precedents:
The Tribunal emphasized applying legal precedents in the factual context, and in this case, the TRC determined the assessee's residential status and entitlement under the treaty provisions.

Conclusion:
The appeal was allowed, and the order was pronounced on 31st October 2023.

 

 

 

 

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