Business Standard
Sunday, Nov 08, 2009
 
drived banner
drived banner
  Advanced Search
Feedback | RSS
Content Guide
Follow us on  
||||Economy & Policy||||| 
 Section Home | News Now | Today's Paper | Features & Analysis | Politics & Public Affairs | Q&A | Columnists | BS Says
Home > Economy & Policy Live Markets | Smart Portfolios II
  Search:

Territorial nexus for services rendered by foreign law firms in India
LAW COLUMN
Aseem Chawla & Ankita Srivastava / New Delhi January 5, 2009, 15:09 IST

In a recent ruling, the Hon’ble High Court of Bombay (HC), in case of Clifford Chance, UK (CC) ruled that the professional fees charged for the service provided by the foreign law firm is not taxable in India for the reason that neither the legal opinions were utilised nor rendered in India.

In this case, CC was appointed as English Law advisor to four joint venture projects for construction of power plants in India; every project involved at least one non-resident party (projects). For rendering legal advice on the projects, the partners/employees of CC visited India, for a period aggregating more than 90 days in the relevant financial year. On the basis of the billing hours spent in India, CC attributed a fixed share of the professional fee in relation to the projects, to be taxed in India. However, the contention of the Assessing Officer (AO) was that all the legal advices pertained to the projects situated in India and hence in terms of Section 9(1) of the Income Tax Act, 1961 (the Act), the entire sum of the professional fee is taxable in India. The findings of the AO were affirmed by the Commissioner of Income Tax (Appeals) and Mumbai Bench of the Hon’ble Income Tax Appellate Tribunal (ITAT).

Aggrieved by the order of ITAT, CC filed an appeal before HC, contending that in case of legal professional rendering advisory services, the services are only rendered at a place where the professional is personally present. Thus, the legal services provided by the partners of CC in the UK would classify to be rendered in the UK, falling outside the purview of tax chargeability in terms of Section 9(1)(vii) of the Act and only that portion of income which can be attributed to the service performed by it in India should be taxed in India. On the contrary, the Revenue submitted that the term ‘attributable to’ under Section 9 of the Act, is wider in meaning than the term ‘derived from’ and, therefore, the whole of the consideration received on account of services rendered relating to projects in India is taxable in India. It was also contended by the Revenue that Explanation 2 to Section 9 (1) makes the above transaction liable for tax in India.

The HC examined the relevant provisions of the Act dealing with territorial nexus and chargeability under the given facts of the transaction and was of the view the Section 9(1)(vii)(c) envisages twin conditions for the chargeability of tax ie services, which are source of income sought to be taxed in India must be (i) utilised in India and (ii) rendered in India.

 
 
News Now
Paper
Specials
- Hat-trick of gains
- India Inc to witness 20-30% pick up in hirings
- Bank of Maharasthra cuts loan, deposit rates
- Koda discharged; says he is 'innocent'
- Spice Group eyes takeovers for insurance, MF foray
More  

The HC was of the view that the professional fees charged on account of the legal opinions given outside India, were neither utilised nor rendered in India, and thus not taxable under the Act. However, the HC did not examine the question of what qualifies as reasonable attribution when the ITAT gave a clear finding that as per the nature of work done in India, the entire income would be exigible to tax in India.

Beside this, it appears that as per the HC, the legal services are not ‘technical’ in nature and hence Explanation 2 to Section 9 was not considered to have any application in the given facts.

It is also interesting to note that as per the revised OECD Model Convention on Income and Capital 2008, the scope of Article 14 (pari material to Article 15 of the India-UK DTAA) has been removed and is now governed by Article 7 ie business profits, and resultantly there is no separate Article dealing with professional or independent activities like lawyers.

Aseem Chawla is partner, tax practice, & Ankita Srivastava is an associate at Amarchand Mangaldas. 

  Read Business news in 
  Your dream home can now be a reality.
  Visit Fortis for a preventive health check-up & get a 20% discount.
  Follow the ups and downs of your investments. Try our new Portfolio Tracker
  Kolkata Dock \ Freight contract for the British Gurkhas Nepal
  Find how Midsize Businesses use ERP to gain competitive advantage
  Trading in Forex is now as easy as 1-2-3
  Discover an economical and cost effective way to market your products and services
  Giftwithlove.com: Same day delivery of Flowers and Cakes to India
  Download the E-book on the Future of Business Intelligence
  Learn Best Practices for improving customer satisfaction
  Know your customers better... download the free e-book on CRM
   Discussion Board / User Comments    
Display Name  Email-Id  
Post your comment
Most Popular
Read
E-Mailed
Commented
   
- Great Indian telecom boom begins to ring hollow
- Vendors to share BSNL's 3G ad spend
- Profit booking seen next week
- Wkly Tech Analysis: Nifty may move in 4,640-4,900 band
- Gold hits record high on strong demand
 
 More  
BS Poll
Cast Your Vote
 
   
 
Should the private sector be allowed to manage urban water supply?
  Yes  No
Submit

  Hot Searches  
 
Amitabh Bachchan | N Chandrasekaran | Swine Flu | Mukesh Ambani | Anil Ambani | TCS | Infosys |  Air India |  Duronto |  Pranab Mukherjee | Sonia Gandhi | Congress | Rahul Gandhi |  Bigg Boss |  New Pension Scheme |  Service tax |  Excise duty |  Sebi | Tech Mahindra |  Ramalinga Raju |  Satyam |  Reliance  |  RBI |  GDP |  Gold |  Ratan Tata |  ICICI |  |  B-School | DLF  Sensex |  Tax calculator | Home Loan  | Bollywood | Personal Finance |  inflation | oil prices |  World Bank | Reliance Infratel |  HDFC |  Barack Obama  
 
  Member Area Write to the Editor RSS Archives Advanced Search
  Subscribe to BS print product BS e-paper Newsletter Portfolio Tracker
  BS Products BS Hindi BS Motoring
FOR HOT PRODUCTS
BS Bazaar.com
Home | Markets & Investing | Companies & Industry | Banking & Finance | Economy & Policy | Opinion
Life & Leisure | Management & Marketing | Tech World
About Us | Partner With Us | Code of Conduct | Careers | Advertise with us| Terms & Conditions | Disclaimer | Site Map | Contact Us | Feedback