Cairn Energy as well as Vodafone Group of UK are among a handful of companies that had been slapped multi-billion tax demand using a 2012 legislation that gave government powers to levy tax retrospectively. But unlike others, Cairn is the only firm whose assets have been frozen during adjudication of the demand in legal forums.
"Cairn Energy would like the Government of India to take the opportunity to repeal the legislation on retrospective taxation in the forthcoming budget.
In January 2014, Cairn was slapped with a Rs 10,247-crore assessment notice on alleged capital gains it made on a 2006 internal reorganisation of India business. Last year it was slapped with a demand of Rs 29,047 crore including interest and penalty.
Also, the tax department in 2014 froze its 9.8 per cent shares in Cairn India. Cairn Energy had retained minority stake in Cairn India after selling out the business to Vedanta Group in 2011.
"Cairn's outstanding retrospective tax case is yet to be resolved. The issue has been ongoing for three years and is having a major impact on the business and to Cairn's UK and international shareholders," he said.
The company has lost USD 1 billion in value of its shares, forced it to sell assets, postpone investment and cut workforce by 40 per cent.
"The retrospective tax issue is a very unfortunate conclusion of a 20 year investment in India where Cairn has been a model corporate citizen and created a legacy asset which is seen as an example of what can be achieved through India and UK cooperation," he added.
The income tax department says Cairn Energy allegedly made a capital gain of Rs 24,503.50 crore in 2006 while transferring all its India assets to a new company, Cairn India, and getting it listed on the stock exchanges.
Cairn Energy, which had in 2011 sold majority stake in its Indian unit to mining group Vedanta for USD 8.67 billion, still holds 9.8 per cent stake in Cairn India. But it has been barred by the income tax department from selling this stake.
Disclaimer: No Business Standard Journalist was involved in creation of this content
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