Hindustan Times ST (Jaipur)

Burying the ghost of retrospect­ive taxation

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Amid the disruption in the Parliament, the Narendra Modi government introduced a bill, on Thursday, aimed at correcting a momentous blunder in the contempora­ry history of taxation laws.

This blunder pertains to the Manmohan Singh government’s notorious retrospect­ive amendment in the Income Tax Act in 2012. After losing a tax dispute to Vodafone on the issue of taxation on indirect transfer of Indian assets, the government nullified the judgement by altering Section 9(1)(i) of the Income Tax Act retroactiv­ely. Taxing indirect transfer of Indian assets implies taxing the gains arising out of the transfer of shares by a non-resident in a company incorporat­ed abroad, if the share derived its value, directly or indirectly, substantia­lly from assets located in India.

This regressive legislativ­e developmen­t, later extended to Cairn Energy’s internal restructur­ing, triggered a spate of legal disputes. Vodafone and Cairn Energy sued India before investor-state dispute settlement (ISDS) tribunals constitute­d under the Indianethe­rlands and the India-united Kingdom bilateral investment treaty (BIT).

The Bharatiya Janata Party (BJP) valiantly resisted the retroactiv­e amendment while in Opposition. Thus, many assumed that the

Modi government would correct this gaffe on coming to power. But the new government pursued these claims robustly. Both the ISDS tribunals indicted India for violating the fair and equitable treatment (FET) obligation under the two BITS. India didn’t comply with the awards, which compelled Cairn Energy to start enforcemen­t proceeding­s aiming at attach Indian assets in several countries.

Finally, it seems, good sense has prevailed. The tax bill states that the amendment to Section 9(1)(i) will not apply to indirect transfers of Indian assets made on or before May 28, 2012. In simpler terms, the law on taxing the gains arising out of indirect transfer of Indian assets shall be prospectiv­e.

Exorcising the retrospect­ive aspect of Section 9(1)(i) implies that the tax department can no longer pursue taxation claims against Vodafone and Cairn Energy for its pre-2012 transactio­ns that involved indirect transfers of Indian assets. The taxes collected would be returned without interest. This bill removes the legal measure that formed the basis of ISDS claims against India by Vodafone and Cairn Energy, thus, hopefully bringing the curtain down on the arduous internatio­nal legal battles.

However, this law is subject to certain riders. Both Vodafone and Cairn Energy will have to withdraw their legal claims against India including under internatio­nal law. Also, the investors will have to waive their right to pursue legal claims for retrospect­ive taxes. This implies that Section 9(1)(i) and the attendant tax provisions would continue to apply retrospect­ively if investors do not meet these conditions.

While it is quite evident that the adverse ISDS awards triggered this amendment, it seems India is still not accepting the decision of the two tribunals. The fact that India will return only the principal amount, not the interest is a clear pointer to this. For instance, the ISDS tribunal ordered India to pay $1.2 billion (the tax collected) plus interest and other costs, totalling about $1.7 billion to Cairn Energy. As per the bill, India will only return $1.2 billion (the principal amount) to Cairn Energy. Thus, Cairn Energy will still lose about $0.5 billion. It remains to be seen whether Cairn Energy and Vodafone will accept this as an honourable settlement. It is also not clear whether India would stop pursuing challengin­g the Vodafone and Cairn awards in Singapore and The Hague, the respective seats of arbitratio­n.

While this amendment will shore up the confidence of foreign investors, and give a leg-up to the overall economic sentiment, one needs to ask a larger question. What did India gain out of this misadventu­re that lasted for more than nine years? It will not get the much-needed revenue that it kept hoping for. On top of it, taxpayer money and other scarce

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