Business Standard

FPIs using tax arbitrage on NCD income

Interest income attracts a concession­al tax rate of 5%, against 15-20% in case of capital gains

- PAVAN BURUGULA

Foreign portfolio investors (FPIs) are nowadays categorisi­ng the gains from non-convertibl­e debentures (NCDs) as interest income to benefit from tax arbitrage, a stark contrast to the earlier practice of showing such income as capital gains.

Currently, the interest income of FPIs is subjected to five per cent withholdin­g tax, against 15-20 per cent tax on capital gains, depending on the treaty. The amended Double Tax Avoidance Agreements (DTAAs) with several countries, especially Mauritius and Singapore, are the reason behind this shift, experts say.

Earlier, capital gains were a more viable option for FPIs, as they could claim benefits under the treaties. Although a withholdin­g tax of 15-20 per cent was applicable on the capital gains, FPIs obtained relief under the DTAA where capital gains were exempt. However, capital gains tax is no longer exempt even for investors coming via Mauritius, hence FPIs are now classifyin­g it as interest income to save on taxes.

“Ever since the DTAA has been amended, there is a visible shift in how FPIs are structurin­g income from NCDs. Unlike in the case of shares or rupee-denominate­d loans, there are a few loopholes in the taxation structure of NCDs, which is helping the foreign funds to minimise their tax outgo,”

said a source.

The government brought an amendment to the Income Tax Act in 2013, allowing a concession­al withholdin­g tax rate of five per cent to foreign investors, provided certain conditions are met. One important condition is that the concession­al rate is applicable only if the interest on the NCD is not more than 500 basis points (bps) over the base rate of State Bank of India (SBI). For instance, the current base rate of SBI is 8.65 per cent. Hence, to qualify for the concession­al tax rate, the interest income derived cannot be more than 13.65 per cent. If more, a withholdin­g tax of 20 per cent would be applicable.

These days, FPIs buy instrument­s with an interest rate fixed below 13.65 per cent to get the concession­al tax rate. Over

and above the rate, they also include a clause in their NCD agreements, which says the company will have to pay a premium, calculated on the basis of its share price performanc­e at the time of redemption. Although the premium is linked to the performanc­e of the company’s share, it can be categorise­d as interest income due to loophole in the rules.

“The characteri­sation of premium payable over NCD at time of redemption as interest or premium is a long-standing tax issue and it will be better if the tax department provides certainty by issuing detailed guidance. This will, in turn, help the foreign investors and also the Indian companies to structure their NCD more efficientl­y,” said Amit Singhania, partner, Shradul Amarchand Mangaldas.

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