Millennium Post (Kolkata)

CBDT notifies 21 nations from where investment in startups will be exempt from angel tax

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NEW DELHI: The Finance Ministry has notified 21 countries, including the US, UK and France, from where non-resident investment in unlisted Indian startups will not attract angel tax.

The list, however, excludes investment from countries like Singapore, Netherland­s and Mauritius.

The government had in the Budget brought overseas investment in unlisted closely held companies, except DPIIT recognised startups, under the Angel Tax net.

Following that, the startup and venture capital industry sought exemption for certain overseas investor classes.

The Central Board of Direct Taxes (CBDT) on May 24 notified classes of investors who would not come under the Angel Tax provision.

Excluded entities include those registered with Sebi as Category-I FPI, Endowment Funds, Pension Funds and broad-based pooled investment vehicles, which are residents of 21 specified nations, including the US, UK, Australia, Germany and Spain, as per the notificati­on.

The other nations mentioned in the notificati­on are Austria, Canada, Czech Republic, Belgium, Denmark, Finland, Israel, Italy, Iceland, Japan, Korea, Russia, Norway, New Zealand and Sweden.

The CBDT notificati­on comes into effect on April 1.

Nangia Andersen India

Chairman Rakesh Nangia said by explicitly mentioning this list of countries, the government aims to attract more foreign investment (FDI) into India from countries that have robust regulatory frameworks.

“Surprising­ly, countries such as Singapore, Ireland, Netherland­s, Mauritius etc from where the majority of inbound FDI is channelise­d into India, do not find a mention in this notificati­on,” Nangia said.

Stakeholde­rs may still have to hold their horses on a formal notificati­on on the valuation guidelines as rules on the same are proposed to be released after a stakeholde­r consultati­on process, he added.

The CBDT is expected to come out with valuation guidelines for valuing non-resident investment in unrecognis­ed startups for the purpose of levying income tax.

Under the existing norms, only investment­s by domestic investors or residents in closely held companies were taxed over and above the fair market value. This was commonly referred to as an angel tax.

The Finance Act, 2023, has said that such investment­s over and above the FMV will be taxed irrespecti­ve of whether the investor is a resident or non-resident.

Post the amendments proposed in the Finance Bill, concerns have been raised over the methodolog­y of calculatio­n of fair market value under two different laws.

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