Business Standard

US set to probe India's digital services tax

Several other countries also under USTR lens; New Delhi says tax is non-discrimina­tory

- DILASHA SETH

The US has decided to launch an investigat­ion against India for levying a 2 per cent digital tax on technology majors, to determine if it “unfairly targets” American companies like Amazon, Google, and Facebook.

The US Trade Representa­tive (USTR) office will also conduct the Section 301 probe against nine others, including Austria, Brazil, Indonesia, Italy, Spain, Turkey, the Czech Republic, the UK, and the EU, for levying or considerin­g digital services taxes “discrimina­ting against US companies”.

Section 301 of the US Trade Act empowers the USTR to investigat­e a trading partner's policy action that may be deemed unfair or discrimina­tory and negatively affects US companies.

New Delhi strongly opposed the move, arguing that its digital tax measures fell within its sovereign rights and were in no way designed to discrimina­te against US firms.

“The equalisati­on levy imposed by India does not violate World Trade Organizati­on rules and we are well within our rights to impose digital tax. The policy is quite broad and in no way discrimina­tes against US companies. The US should rather focus on arriving at a consensus solution to tax digital companies at the ongoing discussion­s under the OECD Base Erosion and Profit Shifting (BEPS) framework,” a government official said.

India had through an amendment in the Finance Bill 2020-21 imposed a 2 per cent digital tax on trade and services by non-resident e-commerce operators with a turnover of over ~2 crore, expanding the scope of equalisati­on levy, which till last year only applied to digital advertisin­g services. The new levy came into effect from April 1. Ecommerce operators are obligated to pay the tax at the end of each quarter.

The move had drawn sharp reactions from American tech giants, including Amazon, Microsoft, Google, and Facebook, which wrote to the USTR in March, complainin­g that it was a highly discrimina­tory tax on foreign companies.

“India has a strong case here. There has to be some evidence to say the tax that you are levying will affect primarily US multinatio­nals,” said another official.

“The levy is very broad in scope and equally applies to all e-commerce players, be it Chinese, Swedish, or American. It no way was designed to target American e-commerce companies, but simply to tax income accruing to foreign e-commerce companies from India,” the official added.

E-commerce firms that fall under the equalisati­on levy scope include Adobe, Uber, Udemy, Zoom.us, Expedia, Alibaba, Ikea, Linkedin, Spotify, and ebay.

The US investigat­ion initially will focus on whether digital services taxes discrimina­te against US companies, are retroactiv­e, and reflect unreasonab­le tax policy. Public comments are invited till July 15.

USTR Robert Lighthizer said, “President Trump is concerned that many of our trading partners are adopting tax schemes designed to unfairly target our companies… We are prepared to take all appropriat­e action to defend our businesses and workers against any such discrimina­tion.”

Akhilesh Ranjan, former CBDT member and chief negotiator at OECD BEPS, said India was not alone and several jurisdicti­ons had implemente­d digital tax or were planning to implement as the US had gone back on its proposal at the OECD BEPS to tax the digital economy.

“It is the US, which in December had decided to go back on its proposal and said we cannot depart from the arm’s length principle and can’t agree to redefine nexus. The US is not fully participat­ing in the discussion­s, so there is a reaction everywhere. It will be interestin­g to see how strongly the US can pursue this matter with nine different jurisdicti­ons,” said Ranjan.

Sandeep Jhunjhunwa­la, partner, Nangia Andersen LLP, said the investigat­ion had invited public comments and would primarily deal with issues like unreasonab­leness of tax policies, diverging provisions from US tax laws, extra-territoria­l rights, and whether the digital tax mechanism was being used to penalise technology giants for their atypical success graph or for being crisis-proof in current times. “India is racing towards becoming a digital giant, and one needs to wait to see if the details of this new levy would be negotiated to avoid any hurdles in its implementa­tion,” he said.

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