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International arbitration: Hague court rules against India in retro tax case: The dispute between Cairn Energy and Indian govt, explained

Updated Dec 24, 2020 | 15:53 IST Similar to the Vodafone dispute that was decided only months ago, the one between the Indian government and Cairn involves retrospective taxation. Representational image.  |  Photo Credit: iStock Images Key Highlights India s Income Tax department had claimed that Cairn UK had accrued capital gains in excess of Rs 24,500 crore India s retrospective tax was introduced in 2012 and made any capital gains resulting from the transfer of shares from a foreign entity whose assets were located in India taxable from 1962 The case represents the second successive one that India has lost in the last three months relating to retrospective taxation

Indian government loses retrospective tax case against Cairn Energy: Know all about it!

Indian government loses retrospective tax case against Cairn Energy: Know all about it!
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India loses Cairn case in arbitration; asked to pay Rs 8,000 cr in damages

In a major setback, the Indian government has lost an international arbitration case to energy giant Cairn Plc over the retrospective levy of taxes, and has been asked to pay damages worth $1.2 billion (Rs 8,842 crore) to the UK firm. The verdict came on Tuesday night, barely three months after India lost arbitration to Vodafone Plc over the retrospective tax legislation amendment. The Permanent Court of Arbitration at The Hague has maintained that the Cairn tax issue is not a tax dispute but a tax-related investment dispute and, hence, it falls under its jurisdiction. India’s demand in past taxes, it said, was in breach of fair treatment under the UK-India Bilateral Investment Treaty.

Cairn Energy wins tax arbitration against India: What the case is all about

India lost the Cairn arbitration case.The case was related to the retrospective tax amendment law and the verdict came late night Tuesday. How did the dispute arise? Cairn received a notice from the income tax department in January 2014, raising a preliminary assessment of Rs 10,247 crore tax liability relating to the group reorganisation done in 2006, when Cairn UK transfered about 10 per cent shares of Cairn India Holdings to Cairn India.This gave rise to different interpretations on whether the UK-based company made capital gains, preceding an initial public offering (IPO) of shares by Cairn India.In March 2015, the I-T department had contended that Cairn UK made a capital gain of Rs 24,503.5 crore in the internal reorganisation. Cairn Energy in 2015 initiated an international arbitration to challenge retrospective taxation.

Retrospective tax: After Vodafone, India loses Cairn arbitration case

Retrospective tax: After Vodafone, India loses Cairn arbitration case The international tribunal also ruled that India’s demand of $1.2 billion in retrospective tax was “in breach of the guarantee of fair and equitable treatment”. December 24, 2020 3:50:01 am The Cairn India Ltd. logo is displayed on a sign outside the venue of the company s annual general meeting in Mumbai, India, on Thursday, Aug. 18, 2011. (Photographer: Adeel Halim/Bloomberg) Cairn Energy Plc won a major relief on Wednesday as the Permanent Court of Arbitration at The Hague ruled that the Indian government’s retrospective tax demand against the global oil and gas major was “inconsistent” with the UK-India bilateral treaty.

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