Business Standard

New rules to hit dividends from foreign subsidiari­es

Rewriting dividend taxation norms may result in double taxation, say experts

- SACHIN P MAMPATTA & ADITI DIVEKAR

The rewriting of dividend taxation rules may have an impact on dividends received from the foreign subsidiari­es of domestic companies.

Easier rules of taxation applicable earlier have changed, potentiall­y leading to double taxation on the amount received from foreign subsidiari­es and distribute­d by their parent companies to shareholde­rs, according to experts.

Dividends received by Indian companies from foreign subsidiari­es have been subject to a concession­al tax rate of 15 per cent, said Pranav Sayta, national leader, Internatio­nal Tax and Transactio­n Services, EY India. When the parent firm further paid out dividends to its shareholde­rs, dividend distributi­on tax only applied to that amount and excluded the dividend from the foreign subsidiary. This avoided double taxation.

For example, consider a parent company which received ~70 from its foreign subsidiary and paid out ~100 in dividends.

Dividend distributi­on tax in FY20 would only be applicable after deducting ~70 received from the foreign subsidiary, meaning 20.56 per cent DDT would be paid only on ~30. Only shareholde­rs earning dividend of over ~10 lakh a year would pay an additional 10 per cent tax in FY20. “Now all of that is gone,” Sayta said.

Under the new rules, the dividend on the entire ~100 would be taxable at the marginal rate for the parent firm's shareholde­rs.

Some of its shareholde­rs in the highest tax bracket would end up paying a tax of 42.7 per cent. This would involve the dividend being taxed twice.

Tushar Sachade, partnertax and regulatory services, Pricewater­housecoope­rs, too, pointed out that there was a kind of cascading credit, provided for dividends paid by Indian companies, which took into account dividends received from foreign subsidiari­es.

Dividends from a foreign subsidiary were taxed at 15 per cent, however, if the parent were to pay dividends, it was not required to pay DDT (on foreign dividends).

"Now in case of a foreign subsidiary, there is double taxation. If the Indian parent receives dividend, it pays tax when it declares dividend; the recipient also pays tax," he said.

Indian companies have made several foreign acquisitio­ns over the years. For example, Aditya Birla Group's metal sector major Hindalco Industries acquired global aluminium player Novelis in 2007. Similarly, Tata Steel acquired Uk-based Corus in 2007.

Any dividends received from such acquisitio­ns would potentiall­y be subject to higher taxes.

Tata Steel’s operations outside India many a time have not been in a position to pay dividends. Hindalco, too, is not looking to return capital at this point, according to a source.

“We have not taken any dividend from Novelis for several years. In any case, we do not look at Novelis as a subsidiary which is (at a stage) to give us dividends. We want to simply grow the company. But going ahead, if we take dividends from Novelis and if that situation arises, we will study the tax implicatio­ns,” said the source.

Spokespers­ons for the companies mentioned above did not respond immediatel­y to a request for comment on the new tax rules.

The removal of DDT, announced in the Budget, was seen as a positive by some quarters as it ensured that foreign shareholde­rs could get credit for taxes paid on dividends. This also means that companies no longer have the compliance burden of deducting the tax. Tax is now to be paid by the recipient at the applicable rate, instead of the flat DDT rate of 20.56 per cent.

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