Eastern Eye (UK)

Cairn withdraws lawsuits filed in US and UK against Delhi’s retro tax

-

BRITAIN’S Cairn Energy Plc has dropped lawsuits against the Indian government and its entities in the US and other places.

It is also in the final stages of withdrawin­g similar cases in Paris and the Netherland­s to get back about `79 billion (£790 million) collected from it to enforce a retrospect­ive tax demand.

The move is part of the settlement the company reached with the government to the sevenyear-old dispute over the levy of back taxes. Now known as Capricorn Energy Plc, it has initiated proceeding­s to withdraw lawsuits it had filed in several jurisdicti­ons to enforce an internatio­nal arbitratio­n award which had overturned the levy of `102.47bn (£1.02 bn) retrospect­ive taxes and ordered India to refund the money already collected.

Two sources with direct knowledge of the matter said Cairn on November 26 withdrew the lawsuit it had brought in Mauritius for recognitio­n of the arbitratio­n award and took similar measures in courts in Singapore, the UK and Canada.

On December 15, it sought and got ‘voluntary dismissal’ of a lawsuit it had brought in a New York court to seize assets of Air India to recover the money due from the government. On the same day, it made a similar move in a Washington court where it was seeking recognitio­n of the arbitratio­n award.

Recognitio­n of arbitratio­n award is the first step before any enforcemen­t proceeding­s like a seizure of assets can be brought.

A critical lawsuit in a French court, which had attached Indian properties on the petition of Cairn, is in the final stages of withdrawal, the sources said. The paperwork is expected to be completed in the next couple of days.

The attachment of Indian assets, including some flats in Paris used by the Indian government staff, in July had triggered the scrapping of a 2012 amendment to the Income Tax Act that gave the taxman powers to go back 50 years and slap capital gains levies wherever ownership had changed hands overseas, but where business assets were in India.

The tax department had used the 2012 legislatio­n to levy `102.47 bn (£1.02bn) in taxes on alleged capital gains Cairn made on the reorganisa­tion of its India business before its listing in 2006-07.

Cairn contested the demand saying all taxes due when the reorganisa­tion, which was approved by all statutory authoritie­s, took place were duly paid.

But the tax department in 2014 attached and subsequent­ly sold the residual shares that Cairn held in the Indian unit, which was in 2011 acquired by Vedanta group. It also withheld tax refunds and confiscate­d dividends due to it to settle part of the tax demand. It totalled `79bn (£790m). (PTI)

 ?? ??
 ?? ??

Newspapers in English

Newspapers from United Kingdom