The long awaited Place of Effective Management (POEM) rules, to be effective from the current fiscal (April 2016), will not apply to companies having a turnover or gross receipts of Rs 50 crore or less in a financial year.
The rules require foreign companies in India and Indian firms with overseas subsidiaries to pay local taxes based on where the business if effectively controlled.
The rules require company's residency to be determined by persons exercising effective control over decision making and the place where such control is exercised from, according to the guidelines issued by CBDT today.
This would help target shell companies, or holding companies, incorporated overseas to evade taxes by showing their residency as a tax haven even though the management and effective decision making takes place in India.
"The place where these management decisions are taken would be more important than the place where such decisions are implemented. For the purpose of determination of POEM it is the substance which would be conclusive rather than the form," the CBDT said.
The guidelines provide for an Active Business Outside India (ABOI) test, so as not to cover companies outside India which are engaged in active business. "The intent is not to target Indian multi-nationals which are engaged in business activity outside India," CBDT said.
The guidelines attempt to differentiate between
shareholder control, management control and routine decisions, said KPMG in India National Head of Tax Girish Vanvari.
"However, if on the basis of facts and circumstances, it is established that the board of directors of the company are standing aside and not exercising their powers of management and such powers are being exercised by either the holding company or any other person(s) resident in India, then the place of effective management shall be considered to be in India," the guidelines said.
For the purpose of determining whether the company is engaged in active business outside India, the average of the data of the previous year and two years prior to that shall be taken into account.
The first stage would be identification of the persons who make the key management and commercial decision for the company and secondly the determination of the place where these decisions are made.
The location of a company's head office would be a "very important factor" in the determination of the company's place of effective management because it often represents the place where key company decisions are made, the guidelines said.
The tax department also said "the guidelines are not intended to cover foreign companies or to tax their global income, merely on the ground of presence of permanent establishment or business connection in India".
Nangia & Co Managing Partner Rakesh Nangia said it shows government's conviction to set the rule book right for the tax officer to catch hold of those trying to avoid taxes in India by playing around with their residential status.
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