The Protocol for amendment of the
Convention for the avoidance of double taxation and the prevention of fiscal
evasion with respect to taxes on income and capital gains between India and
Mauritius was signed by both countries today at Port Louis, Mauritius. The key
features of the Protocol are as under:
i. Source-based taxation of capital gains on shares: With
this Protocol, India gets taxation rights on capital gains arising from
alienation of shares acquired on or after 1st April, 2017 in a company resident
in India with effect from financial year 2017-18, while simultaneously
protection to investments in shares acquired before 1st April, 2017 has also
been provided. Further, in respect of such capital gains arising during the
transition period from 1st April, 2017 to 31st March, 2019, the tax rate will
be limited to 50% of the domestic tax rate of India, subject to the fulfillment
of the conditions in the Limitation
of Benefits Article. Taxation in India at full
domestic tax rate will take place from financial year 2019-20 onwards.
ii. Limitation of Benefits (LOB):
The benefit of 50% reduction in tax rate during the transition period
from 1st April, 2017 to 31st March, 2019 shall be subject to LOB Article, whereby a resident of
Mauritius (including a shell / conduit company) will not be entitled to
benefits of 50% reduction in tax rate, if it fails the main purpose test and
bonafide business test. A resident is deemed to be a shell/ conduit company, if
its total expenditure on operations in Mauritius is less than Rs. 2,700,000
(Mauritian Rupees 1,500,000) in the immediately preceding 12 months.
Iii Source-based taxation of interest
income of banks: Interest arising in India to Mauritian resident banks
will be subject to withholding tax in India at the rate of 7.5% in respect of
debt claims or loans made after 31st March, 2017. However, interest income of
Mauritian resident banks in respect of debt-claims existing on or before 31st
March, 2017 shall be exempt from tax in India.
iv The Protocol also provides for updation of
Exchange of Information Article as per international standard, provision for
assistance in collection of taxes, source-based taxation of other income,
amongst other changes.
Major
impact: The Protocol will tackle the long pending issues of treaty abuse
and round tripping of funds attributed to the India-Mauritius treaty, curb
revenue loss, prevent double non-taxation, streamline the flow of investment
and stimulate the flow of exchange of information between India and Mauritius.
It will improve transparency in tax matters and will help curb tax evasion and
tax avoidance. At the same time, existing investments, i.e. investments made
before 1.4.2017 have been grand-fathered and will not be subject to capital
gains taxation in India.
**********
DSM/KA