Hindustan Times (Noida)

Over 700 APAS pile up with the income tax dept

- Dilasha Seth & Gireesh Chandra Prasad dilasha.s@livemint.com

THE CBDT HOPES TO CLEAR A RECORD NUMBER OF THE ADVANCE PRICING AGREEMENTS IN 2022-23

BENGALURU/NEW DELHI: Applicatio­ns for agreements aimed at preventing tax disputes between multinatio­nal companies and Indian authoritie­s have piled up at the tax office owing to Covid-19 disruption­s.

Around 700 are pending, but despite the seemingly high odds, the central board of direct taxes (CBDT) hopes to clear a record number of these agreements, called advance pricing agreements (APAS), in 2022-23. A total of 62 APAS were signed and cleared in 2021-22 and 31 in 2020-21. Of the 62 APAS in FY22, around 30 were signed in March alone.

A government official said site visits could not take place due to the Covid-19 restrictio­ns, which led to cases piling up. “The APA cases have piled up and could be close to 700 odd cases. We lost close to six months last year due to Covid-19 restrictio­ns. However, the process has picked pace. We could see a record number of APAS get signed this year. The last high was 88 cases in 2016-17,” said the official.

APAS seek to provide certainty to multinatio­nal companies in respect of the transfer price of the cross-border transactio­ns undertaken by these companies with their group entities. The agreements are made in advance between a taxpayer and the tax authority on pricing transactio­ns between related parties.

In simple terms, the transfer price of goods and services transacted between group entities is agreed upon in advance by the tax authoritie­s and the taxmoreove­r, payers to prevent any disputes later. APAS provide certainty to the company operating in India for a maximum of nine years (prospectiv­e five years and four roll-back years).

Vijay Iyer, partner and national leader, Transfer Pricing, EY India, said, “APAS picked pace in March and then it has slowed down again. We are hoping that they will pick up again soon. With 62 APAS signed last year, at that pace, it will take nearly 10 years to clear the backlog, which is not good for tax certainty.” He pointed out that a few structural changes were needed, including increased manpower. Currently, there are four commission­ers and four joint commission­ers. “We need more joint commission­ers. A pyramid structure is needed for faster clearance,” said Iyer. According to him, APAS give confidence to investors to expand operations in view of the non-adversaria­l tax regime.

Akhilesh Ranjan, a tax policy adviser at PWC India, pointed out that APAS are the cornerston­e of a tax policy built around predictabi­lity and certainty. “Looking at the large inventory of pending APA applicatio­ns, I think it’s time for the CBDT to augment the APA workforce,” he added.

The 62 agreements in 2021-22 include 13 bilateral APAS and 49 unilateral APAS.

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