Income Tax authorities in January contacted Cairn over an alleged Rs 24,500-crore capital gains it made when in 2006-07 it transfered all its India assets to a new company -- Cairn India.
While the firm maintains that none of the transactions undertaken by it during that fiscal were chargeable to tax in India, the Income Tax Department restrained from disposing of its about 10 per cent remaining equity in Cairn India.
The company had in April this year received two more notices asking it to file tax return for 2006-07 as well as a show-cause for not withholding tax on dividends paid by Cairn UK Holdings Ltd to its parent company Cairn Energy plc.
"Cairn has filed a nil return for the 2006-07 year," the statement said.
The Income Tax Department has cited legislation introduced in 2012, with retrospective effect, as the reason for these current enquiries.
Cairn will report its next set of financial results by mid-August.
The I-T Department has restrained Cairn from selling its residual about 10 per cent stake, worth over USD 1 billion, in Cairn India till the tax dispute is resolved.
Cairn Energy had in 2011 sold majority stake in its Indian unit, Cairn India, to mining group Vedanta for USD 8.67 billion. It still holds about 10 per cent stake in Cairn India.
While the I-T Department has so far not raised a tax demand on Cairn Energy, it has ordered Cairn India not to allow the transfer of UK firm's residual stake. It also ordered that the shares cannot be pledged or mortgaged.
Cairn Energy was widely seen as a likely participant in the Indian firm's share buyback, which opened on January 23.
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