Business Standard

DEBT FPIS ON TENTERHOOK­S OVER CONCESSION­AL TAX WITHDRAWAL

- ASHLEY COUTINHO

Even as the clamour for abolishing tax on long-term capital gains for equity investment is growing, overseas investors are staring at a higher tax outgo on their investment­s in Indian debt. Foreign portfolio investors (FPIS) pay a concession­al tax rate of 5 per cent on interest they earn on rupee denominate­d bonds issued by Indian firms and government securities. This is provided for under section 194LD of the I-T Act, often referred to as the withholdin­g tax. The catch — the concession is applicable only till June 30, 2020, and interest to be paid after this date would be taxed at 20 per cent or higher.

The government had introduced the lower tax rates in 2013 after a wobble in the rupee led to a flight of foreign money. These were applicable on interest payable till May 31, 2015. Record FPI inflows in the debt segment in 2014 prompted the Centre to extend these concession­s twice in subsequent years.

Experts believe the lower tax rate is a significan­t contributo­r in making India’s debt market attractive to overseas investors. The concession­al rate has also helped in reducing borrowing costs for the government and firms.

“Investors will be in for a big disappoint­ment if the timeframe for the lower withholdin­g tax rates is not extended,” said Ajay Manglunia, MD and head (institutio­nal fixed income), JM Financial. “FPIS may look to book profits and/or not invest further after maturity of their investment­s. It could also impact borrowing costs for corporates at a time when it has become increasing­ly difficult to borrow domestical­ly.”

FPIS have been net sellers of debt papers worth $1.5 billion in 2020, against net purchases of $1.7 billion in equities. Last year, they were net purchasers in Indian debt to the tune of $3.5 billion, far lower than the net investment of $14.2 billion in equities.

According to Tushar Sachade, partner at PWC India, FPI in Indian debt has grown significan­tly over the past few years. Investors in the corporate debt market generally invest for longer tenures and look for certainty on tax consequenc­es vis-a-vis income expected to be earned during the period.

“Failure to extend the sunset clause beyond June 2020 may result in higher tax incidence for investors, prompting them to evaluate other investment opportunit­ies and increasing borrowing costs for corporates,” Sachade said.

Industry players, in fact, have lobbied with the government to ensure the lower tax rate of 5 per cent is made applicable without any sunset clause.

A decision to discontinu­e the lower rate should be taken only after providing sufficient notice to investors to avoid any disruption in FPI flows, according to experts. According to Rajesh Gandhi, partner at Deloitte India, tax deducted at source for foreign investors could increase to 15 per cent, 20 per cent or 40 per cent, depending on the type of debt and treaty availabili­ty if concession­al rates are not extended.

Say, an FPI invests in a ~1,000 bond with coupon rate of 10 per cent per annum. If ~100 is the interest received, the 5 per cent withholdin­g tax reduces the income ~95. Deducting the hedging cost of, say, 5 per cent per annum, the FPI gets back ~45. If tax deducted, however, increases to 20 per cent, this income reduces to ~30, which is down by 33 per cent.

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