New Norms for Claiming Tax Treaty Benefits in India

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January 23, 2025

New Norms for Claiming Tax Treaty Benefits in India

Why in News ?

The Central Board of Direct Taxes has issued fresh guidelines for applying the Principal Purpose Test (PPT) provisions under Double Tax Avoidance Agreements or DTAAs; deals with Cyprus, Mauritius and Singapore to remain outside for now

1. Introduction of Principal Purpose Test (PPT)

  • CBDT Guidelines: Issued fresh guidance on applying PPT provisions under Double Tax Avoidance Agreements (DTAAs).
  • Objective: To prevent misuse of tax treaties by ensuring treaty benefits are claimed for legitimate purposes.
  • Applicability: PPT provisions will apply prospectively.

2. Exclusion of Specific Treaties

  • Grandfathering Provisions: Agreements with Cyprus, Mauritius, and Singapore are excluded from the new PPT provisions.
  • Reason: India has made treaty-specific bilateral commitments in the form of grandfathering provisions that are protected under the respective DTAAs.
  • Clarification by CBDT: Grandfathering provisions will be governed by specific terms of the treaties and are not impacted by PPT.

3. Treaty-Specific Commitments

  • Cyprus, Mauritius, Singapore Treaties: The circular protects the bilateral commitments under these treaties and carves them out of PPT purview.
  • Implications: Ensures clarity on the primacy of the grandfathering articles within these agreements.

4. Guidance for Tax Authorities

  • Reference to BEPS Action Plan 6: Tax authorities are encouraged to use the Base Erosion and Profit Shifting (BEPS) Action Plan 6 for supplementary guidance.
  • UN Model Tax Convention: Recommended as a source for additional clarity on the application of PPT.

5. Implications for Taxpayers

  • Interpretation Clarity: Clarifies the interpretation of PPT in most Indian tax treaties, reducing ambiguity.
  • Prospective Application: Provides assurance that PPT provisions will not affect past transactions covered under grandfathering.

6. Future Developments

  • India-Mauritius Treaty Protocol: Expected to be notified and take effect from April 1, 2025, following this clarification.
  • Expert Insights:
    • Protects treaty-specific commitments and avoids conflicts in interpretation.
    • Facilitates legitimate treaty benefits while combating treaty abuse.

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New Norms for Claiming Tax Treaty Benefits in India | Vaid ICS Institute