The Central Board of Direct Taxes (CBDT) has signed highest ever record 125 APAs (including Unilateral and Bilateral APAs) in FY 2023-24 with Indian taxpayers.Â
About Advance Pricing Agreements (APAs)Â
- It is an agreement between a taxpayer and tax authority.Â
- APAs endeavors to provide certainty to taxpayers in domain of transfer pricing by specifying methods of pricing.Â
- APA helps determine arm’s length price (ALP) of international transactions in advance for a maximum of five future years.Â
- Further, taxpayer has option to roll back APA for four preceding years, as a result of which, tax certainty is provided for nine years.Â
- Transfer Pricing: It is the price of goods and services exchanged between companies that are under common ownership or control.
- Arm’s Length Principal of Pricing: This principle states that the price agreed in a transaction between two related parties must be the same as the price agreed in a comparable transaction between two unrelated parties.
Central Board of Direct Taxes (CBDT) in India.Â
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- Genesis: CBDT is a statutory authority established under the Central Board of Revenue Act, 1963.
- Ministry: It is part of the Department of Revenue in the Ministry of Finance.
- Functions:
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- CBDT provides essential inputs for policy and planning of direct taxes in India.
- It is also responsible for the administration of direct tax laws through the Income Tax Department.
- Composition: CBDT consists of a Chairman and six Members.
- Location: The image indicates that CBDT is located in New Delhi.
Double Taxation Avoidance Agreement (DTAA)Â
- India & Mauritius signed (not yet ratified) a protocol amending the Double Taxation Avoidance Agreement (DTAA).
- DTAA is an agreement between two countries/territories with an objective to avoid double taxation on same declared asset in two different countries/territories.Â
- DTAA between India and Mauritius was first signed in 1982 and amended in 2016.Â
Significance of DTAAÂ
- Promotion of cross-border investment by reducing tax burden on foreign investors.Â
- Equitable allocation of right to tax between the ‘source’ and ‘residence’ countries.Â
- Provides legal certainty on taxing international income.Â
Issues associated with DTAAÂ
- Treaty Shopping: Takes place when residents of a country, which is not a party to the DTAA, take advantage of the provisions through indirect routes.Â
- Double non-taxation: Abuse of DTAA to avoid paying taxes in both countries.Â
- Differential interpretations of tax treaties leading to protracted litigations.Â
Base Erosion and Profit Shifting (BEPS)Â
- Refers to tax planning strategies that exploit gaps and mismatches in tax rules for tax avoidance by shifting profits from higher tax to lower tax jurisdictions.Â
- Multilateral Convention to Implement Tax Treaty Related Measures to Prevent BEPS aims to update international tax rules and lessen opportunity for tax avoidance by multinational enterprises.Â
- India signed the convention in 2017.
