SlideShare a Scribd company logo
1 of 26
VIVAD SE VISHWAS
SCHEME’ 2020
Finance Bill 2020
SILENT FEATURES OF THE SCHEME
 FAQ is silent on the coverage of genuine delay in filing of appeal which is
pending for condonation whether it should be covered considering the object of
the scheme.
 FAQ is silent on the coverage of miscellaneous application filed against order of
tribunal.
 What still remains out of the ambit is cases pending before the AAR and
settlement commission?
 Disputed tax Rs.5 Crore is considered for search and seizure cases . However
if disputed amount is less and tax itself is Rs.5 Crore then such cases are not
covered.
 If we analyze the provisions of bill, we will appreciate the fact that the
scheme will be opted only if tax, interest, penalty is disputed. There might
be the cases where orders have been passed by income tax authorities,
but the concern of aggrieved party is other than tax matters.
Some of the example are as follows –
 Order to cancel the registration of charitable trusts.
 Order for refusal of 80G registration to a charitable trust.
 Order of Refusal to grant stay of demand
SILENT FEATURES OF THE SCHEME
SCOPE & ELIGIBILITY
SCOPE & ELIGIBILITY
Appeals covered VVD
 Appeals pending before CIT(A), ITAT, High Court & Supreme Court
 Writ petitions pending before High Court or Supreme Court
 Special Leave petitions (SLPs) pending before Supreme Court
 Cases where the order has been passed but time limit for filing appeal is not expired as
on the specified date
 Cases where objections filed before DRP and pending with DRP
 DRP has given the directions but the final assessment order yet to be passed
 Cases where revision application U/s 264 is pending before Pr.CIT or CIT
 Where a declarant has initiated any proceeding or given any notice for arbitration,
conciliation or mediation as referred to in clause 4 of the Bill (either in India or abroad)
SCOPE & ELIGIBILITY
 Where case is pending in arbitration which is eligible to apply for settlement even
no appeal is pending
 Writ petitions pending before High Court against AAR Order in which total income
has determined
 Where assessment has been set aside for giving opportunity/to carry fresh
assessment (only the issues covered for set aside)
 Cases pending before DRP & DRP issued the order but Assessing Officer has not
passed the AO on or before the specified date
 Draft AO passed and assessee waiting for final order with an intention to file appeal
before CIT(A)
 Notice for prosecution has been issued with reference to the tax arrears
 Quantum appeal covering disputed tax before ITAT and appeal against penalty
before CIT(A)
Appeals not covered VVD
 Dispute pending before AAR
 Writ filed against a notice u/s 148 but no order has been passed consequent to the
the notice U/s 148 – as total income is not determined
 Interest U/s 234A, B & D filing application for waiving but no appeal filed
 Delay in deposing of TDS/TCS
 Disputes related to Wealth tax, security transaction tax, commodity transaction tax &
tax & equalization levy
 Prosecution has been initiated and is pending in court
SCOPE & ELIGIBILITY
SEARCH & SEIZURE (ASSESSMENT U/S
143(3)/144/153A/153C ON THE BASIS OF SEARCH
U/S 132/132A)
 If the amount of disputed tax exceeds Rs. 5crores – not covered under VVD
 Out of 7 assessment years in respect of search & seizure, 4 A Ys disputed tax is
5crores or less in each year & for 3 years disputed tax is exceeding 5 crores –
- for 4 years - covered under VVD
- for 3 years - not covered under VVD
Example
Year D. Tax (in VVD Year D. Tax (in VVD
1 7.5 Not covered 4 6.2 Not covered
2 2 Covered 5 1.2 Covered
3 2.5 Covered 6 .50 Covered
SCOPE & ELIGIBILITY
Disputes covered under VVD
 Disputed tax
 Disputed interest (even assessed tax is not disputed)
 Disputed penalty
 Disputed TDS/TCS
 Imposition of fees u/s 234E, 234F (25% or 30% of disputed fee has to be paid)
 Appeal against interest levied on late payment of TDS/TCS
SCOPE & ELIGIBILITY
Disputes covered under VVD
 Where CIT(A) has issued the enhancement notice on or before 31.01.2020 (the disputed tax will
be increased by tax related to enhancement)
 Appeal against penalty/interest/fee disposed by CIT(A) and time to file appeal to ITAT has not
expired as on specified date
 Where disputed demand either partly or fully paid (appellant will entitled refund without interest
U/s 244A)
SCOPE & ELIGIBILITY
VVD Covered in different situations
 Due date of filing of appeal is after 31.3.2020 and the appeal yet to be filed
 Appeal pending before High Court for admission as on 31.03.2020
 Department filed appeal against ITAT Order (by paying 50% of disputed tax)
 Where the appeal is pending before ITAT against 143(3). Subsequently another order under
section147/143(3) was passed for the same assessment year and that is pending before CIT(A)
.Option to select either of two or both appeals for same assessment year.
SCOPE & ELIGIBILITY
Other Points:
 Appellant can avail VVD irrespective of the tax arrears have been paid either partly or fully or
are outstanding
 For one pending appeal, all the issues will be covered under VVD i.e. disputed issues as well as
undisputed issues. Picking and choosing issues for settlement of an appeal is not allowed.
CALCULATIONS
TAXES REQUIRED TO BE PAID UNDER VVD
Payment made on or
before
Appeal relates to disputed tax Appeals relates only to
disputed penalty or interest or
fee
31st March 2020 100% of disputed tax (125% in search
cases)
25% of disputed penalty or
interest or fee
30th June 2020 110% of disputed tax (135% in search
cases)
30% of disputed penalty or
interest or fee
If the appeal is filed by the department – 50% of the aforesaid amounts
DISPUTED TAX CALCULATION
 Appeal/arbitration is pending on the specified date but rectification order passed by the AO to
increase/reduce the total assessed income and tax liability than-
- Disputed tax would be calculated after giving effect to the rectification order passed
 Credit for taxes paid against disputed taxes shall be available
Example –
 DRP Order has been passed giving relief to the assesse and department has filed appeal
- 50% of the amount has to be paid to settle the department appeal
Particulars Amount (Rs.)
Disputed tax 10,000
Less: Taxes already paid before filing declaration 8,000
Balance tax payable after declaration 2,000
Calculation of Disputed tax along with interest paid by the assessee while being appeal:
DISPUTED TAX CALCULATION
Particulars Amount (Rs.)
Tax at the time of filing of Return 30,000
Add: Disputed tax during assessment 10,000
Total Tax 40,000
Add: Interest U/s 234B at the time of filing of return 1,000
Disputed interest arise on disputed tax 6,000
Total tax along with interest 47,000
Less: Self assessment tax paid 31,000
Balance tax payable 16,000
Tax paid on Regular Assessment before filing appeal 14,000
The appellant is entitled to get refund on excess payment of disputed tax i.e. Disputed tax – Tax paid (10000-14,000 =
4000)
** Interest of Rs. 6000/-, interest U/s 220(2) and penalty levied will be waived.
Computation of disputed tax where assessment has been set aside for giving proper opportunity to an
assessee on the additions carried out by the AO:
If appellant authority set aside the additions made by AO, the
DISPUTED TAX CALCULATION
Particulars Addition 1 Addition 2
Additions made by the Assessing Officer 20,000 30000
Tax on the above additions 6,240 9360
Interest on tax 2,500 3,500
 CIT(A) confirm the two additions. ITAT confirm addition 1 & set aside addition 2 and the
assessee has time limit to file appeal on first addition against ITAT Order, the assessee can
avail VVD by covering both additions and the disputed tax is sum of both the additions (i.e.
6,240 + 9,360) and interest waive off is (2,500+3,500).
 Where the deductor settles TDS appeal or withdraws arbitration against order u/s
201,
-The deductee will be eligible to claim the credit of taxes in respect of such dispute
resolution under VVD as on date of settlement of dispute by the deductor and hence
DISPUTED TAX CALCULATION ON TDS ISSUES
SUBSTANTIVE & PROTECTIVE ADDITION -
VVD
 If substantive addition is eligible to covered under VVD,
AO shall pass rectification order deleting the protective addition on same issue in which the
settlement was done under VVD in the case of same assessee or in the case of another assessee.
RELIEF FROM SUPREME COURT - VVD
If the appellant got decision in his favour from Supreme Court on an issue, there is no dispute with
regard to that issue then assessee need not settle that issue.
If that issue is part of multiple issues, the disputed tax will be calculated on other issues considering
nil tax on this issue.
DEEMED APPEAL
When time to file appeal has not expired then it is considered as deemed appeal.
ASSESSEE APPEAL AND DEPARTMENTAL APPEAL FOR ANY
ASSESSMENT YEAR
Assessee having an option to file declaration –
 only for assessee’s appeal (or)
 only for departmental appeal (or)
 both
 DRP has issued the direction confirming the additions and AO has passed the order
accordingly. The issues confirmed by DRP include an issue on which taxpayer has got the
favorable order from ITAT in an earlier year (not reversed by High Court or Supreme
court)
- The disputed tax shall be computed at half of normal rate of 100%, 110%, 125% or 135%
 If ITAT has passed order giving relief on two issues and confirming three issues. The time
limit for filing appeal has not expired,
- Assessee have an option to file declaration either for confirming issues or both (i.e
including issues on which relief is granted)
If assessee file declaration only for confirming issues, then the department is free to file
appeal on other issues.
PROCEDURE
Time limit for paying taxes
Particulars Time Limit
Declaration of tax payable by the assessee & granting a certificate
for tax arrears & amounts payable.
Within 15 days from the date of
receipt of declaration
Time limit for payment of tax Declarant shall pay the tax within 15
days from the date of receipt of
certificate.
Note: 15 days is outer limit, the DA shall be instructed to grant a certificate at an early to enable the
declarant to pay tax on or before 31st March’ 2020.
 The appeal/arbitration/conciliation/mediation is withdrawn after granting the certificate by
DA.
Order passed by DA after payment of disputed taxes:
 The DA pass an order after payment of taxes stating that the declarant has paid taxes.
 The DA shall be able to amend his order to rectify if there is any apparent error
 After passing the order the AO cannot institute any proceedings in respect of offence, or impose or levy any penalty,
or charge any interest.
 Once the tax paid under VVD scheme, which shall not be refundable under any circumstances.
 No appellate forum or arbitrator, conciliator or mediator shall proceed to decide any issue relating to tax arrears
mentioned in the declaration in respect of which the order is passed by the DA or the payment of sum determined
by the DA.
 On intimation of payment to the DA by the appellant pertaining to department appeal/writ/SLP, the department
shall withdraw such appeal/writ/SLP.
 The declaration will be null and void if the tax payment was not made under any circumstances, once declaration is
filed under VVD.
CONSEQUENCES
 Immunity from prosecution
 Waive of interest & penalty
 Result of VVD is not applied to the same issues pending before AO or subsequent assessments.
 Secondary adjustments u/s 92CE is applicable. But if there is any primary adjustments for AY
2016-17 or earlier AY, It is not subject to secondary adjustments u/s 92CE of the act.
 Where dispute in relation to the reduction of MAT credit/reduction of loss or depreciation, the
appellant shall have an option –
Include the amount of tax related to such MAT credit or loss or depreciation; (or)
To carry forward the reduced credit or loss or depreciation.
CBDT will prescribe the manner of calculation in these cases.
Contact us:
S N & Co
Chartered Accountants
Mumbai & Singapore
Tel No. 022-28910968
+91-9967016999
Website: www.snco.in
Email Id: darshak@snco.in
Disclaimer: The views in this VVD presentation are personal
views of the Presenter. Further, the information contained is
of a general nature for explaining the topics and issues. The
VVD presentation is not intended to serve as an advice or
address the circumstances of any particular individual or
entity. No one should act on such / this information without
appropriate professional advice which is possible only after a
thorough examination of facts / particular situation.

More Related Content

What's hot

Srilanka-Income tax administration
Srilanka-Income tax administrationSrilanka-Income tax administration
Srilanka-Income tax administrationSuresh Madushanka
 
Demand and recovery
Demand and recoveryDemand and recovery
Demand and recoveryVinod Yadav
 
tax system of Nepal
tax system of Nepal tax system of Nepal
tax system of Nepal Bibek gupta
 
Income Tax Fundamental Concepts
Income Tax Fundamental ConceptsIncome Tax Fundamental Concepts
Income Tax Fundamental ConceptsRAJESH JAIN
 
TDS under Income Tax, India
TDS under Income Tax, IndiaTDS under Income Tax, India
TDS under Income Tax, Indiasandesh mundra
 
Appeals and Adjudication under Income Tax Act
Appeals and Adjudication under Income Tax ActAppeals and Adjudication under Income Tax Act
Appeals and Adjudication under Income Tax ActDVSResearchFoundatio
 
CAF 6 Principles of Taxation (Tax Year 2018)
CAF 6 Principles of Taxation (Tax Year 2018)CAF 6 Principles of Taxation (Tax Year 2018)
CAF 6 Principles of Taxation (Tax Year 2018)Fawad Hassan
 
Income tax authorities under Income tax act 1961
Income tax authorities under Income tax act 1961Income tax authorities under Income tax act 1961
Income tax authorities under Income tax act 1961Chirantan Tiwari
 
Vietnam Accounting Standards - VAS 17 Income taxes
Vietnam Accounting Standards - VAS 17 Income taxesVietnam Accounting Standards - VAS 17 Income taxes
Vietnam Accounting Standards - VAS 17 Income taxesAC&C Consulting Co., Ltd.
 
A guide to Income Tax personal taxation 2017-2018
A guide to Income Tax personal taxation 2017-2018A guide to Income Tax personal taxation 2017-2018
A guide to Income Tax personal taxation 2017-2018Tintu Thomas
 
Revelation of Provisional Attachments under GST
Revelation of Provisional Attachments under GST Revelation of Provisional Attachments under GST
Revelation of Provisional Attachments under GST Taxmann
 
Direct Tax Planning and financial management decisions
Direct Tax Planning and financial management decisions Direct Tax Planning and financial management decisions
Direct Tax Planning and financial management decisions Mahek Patel
 
The direct tax vaad se vivad bill, 2020
The direct tax vaad se vivad bill, 2020The direct tax vaad se vivad bill, 2020
The direct tax vaad se vivad bill, 2020aakash malhotra
 

What's hot (20)

Lesson 14
Lesson 14Lesson 14
Lesson 14
 
Srilanka-Income tax administration
Srilanka-Income tax administrationSrilanka-Income tax administration
Srilanka-Income tax administration
 
Withholding taxes
Withholding taxesWithholding taxes
Withholding taxes
 
Lesson 16 advanced tax
Lesson 16 advanced taxLesson 16 advanced tax
Lesson 16 advanced tax
 
Demand and recovery
Demand and recoveryDemand and recovery
Demand and recovery
 
General presentation on Income Tax in Bangladesh
General presentation on Income Tax in BangladeshGeneral presentation on Income Tax in Bangladesh
General presentation on Income Tax in Bangladesh
 
tax system of Nepal
tax system of Nepal tax system of Nepal
tax system of Nepal
 
Income Tax Fundamental Concepts
Income Tax Fundamental ConceptsIncome Tax Fundamental Concepts
Income Tax Fundamental Concepts
 
TDS under Income Tax, India
TDS under Income Tax, IndiaTDS under Income Tax, India
TDS under Income Tax, India
 
Appeals and Adjudication under Income Tax Act
Appeals and Adjudication under Income Tax ActAppeals and Adjudication under Income Tax Act
Appeals and Adjudication under Income Tax Act
 
CAF 6 Principles of Taxation (Tax Year 2018)
CAF 6 Principles of Taxation (Tax Year 2018)CAF 6 Principles of Taxation (Tax Year 2018)
CAF 6 Principles of Taxation (Tax Year 2018)
 
Income tax authorities under Income tax act 1961
Income tax authorities under Income tax act 1961Income tax authorities under Income tax act 1961
Income tax authorities under Income tax act 1961
 
Tax presentation
Tax presentationTax presentation
Tax presentation
 
Tax computation
Tax computationTax computation
Tax computation
 
Vietnam Accounting Standards - VAS 17 Income taxes
Vietnam Accounting Standards - VAS 17 Income taxesVietnam Accounting Standards - VAS 17 Income taxes
Vietnam Accounting Standards - VAS 17 Income taxes
 
A guide to Income Tax personal taxation 2017-2018
A guide to Income Tax personal taxation 2017-2018A guide to Income Tax personal taxation 2017-2018
A guide to Income Tax personal taxation 2017-2018
 
Revelation of Provisional Attachments under GST
Revelation of Provisional Attachments under GST Revelation of Provisional Attachments under GST
Revelation of Provisional Attachments under GST
 
Direct Tax Planning and financial management decisions
Direct Tax Planning and financial management decisions Direct Tax Planning and financial management decisions
Direct Tax Planning and financial management decisions
 
Withholding tax
Withholding taxWithholding tax
Withholding tax
 
The direct tax vaad se vivad bill, 2020
The direct tax vaad se vivad bill, 2020The direct tax vaad se vivad bill, 2020
The direct tax vaad se vivad bill, 2020
 

Similar to THE DIRECT TAX VIVAD SE VISHWAS SCHEME’2020

Issues in vivad se vishwas scheme 2020
Issues in vivad se vishwas scheme 2020Issues in vivad se vishwas scheme 2020
Issues in vivad se vishwas scheme 2020DVSResearchFoundatio
 
Vivad se vishwas scheme
Vivad se vishwas schemeVivad se vishwas scheme
Vivad se vishwas schemeMohd.Asif Khan
 
Income tax-notes PU
Income tax-notes PUIncome tax-notes PU
Income tax-notes PUNOMI BRO
 
The Direct Tax Vivad se Vishwas Bill, 2020
The Direct Tax Vivad se Vishwas Bill, 2020The Direct Tax Vivad se Vishwas Bill, 2020
The Direct Tax Vivad se Vishwas Bill, 2020DVSResearchFoundatio
 
Direct tax vivaad se vishwas scheme
Direct tax   vivaad se vishwas schemeDirect tax   vivaad se vishwas scheme
Direct tax vivaad se vishwas schemeCA Dinesh Singhal
 
Service Tax Voluntary Compliance Encouragement Scheme, 2013
Service Tax Voluntary Compliance Encouragement Scheme, 2013Service Tax Voluntary Compliance Encouragement Scheme, 2013
Service Tax Voluntary Compliance Encouragement Scheme, 2013Ashish Gupta
 
How can i resolve a tax dispute in UAE?
How can i resolve a tax dispute in UAE?How can i resolve a tax dispute in UAE?
How can i resolve a tax dispute in UAE?AhmedTalaat127
 
Unit 2 - Refund of Tax.pptx, tax law notes
Unit 2 - Refund of Tax.pptx, tax law notesUnit 2 - Refund of Tax.pptx, tax law notes
Unit 2 - Refund of Tax.pptx, tax law notesssuser32bd0c
 
Recent income tax disputes
Recent income tax disputesRecent income tax disputes
Recent income tax disputesRitwickRaj
 
Collection Statute presentation
Collection Statute presentationCollection Statute presentation
Collection Statute presentationdphil002
 
SABKA VISHWAS (Legacy Dispute Resolution) Scheme, 2019
SABKA VISHWAS (Legacy Dispute Resolution) Scheme, 2019 SABKA VISHWAS (Legacy Dispute Resolution) Scheme, 2019
SABKA VISHWAS (Legacy Dispute Resolution) Scheme, 2019 Ramandeep Bhatia
 
Wassim Zhani Chapter 18 Tax Practice and Procedure.pdf
Wassim Zhani Chapter 18 Tax Practice and Procedure.pdfWassim Zhani Chapter 18 Tax Practice and Procedure.pdf
Wassim Zhani Chapter 18 Tax Practice and Procedure.pdfWassim Zhani
 
Direct Tax - Tax Alert Vivad Se Viswas - Eligibility to file application.pdf
Direct Tax - Tax Alert Vivad Se Viswas - Eligibility to file application.pdfDirect Tax - Tax Alert Vivad Se Viswas - Eligibility to file application.pdf
Direct Tax - Tax Alert Vivad Se Viswas - Eligibility to file application.pdfSteadfast Business Consulting
 
ITR Filing Last Date 2023-24(24-25).pdf
ITR Filing Last Date 2023-24(24-25).pdfITR Filing Last Date 2023-24(24-25).pdf
ITR Filing Last Date 2023-24(24-25).pdfWEB ONLINE CA
 

Similar to THE DIRECT TAX VIVAD SE VISHWAS SCHEME’2020 (20)

Issues in vivad se vishwas scheme 2020
Issues in vivad se vishwas scheme 2020Issues in vivad se vishwas scheme 2020
Issues in vivad se vishwas scheme 2020
 
Vivad se vishwas scheme
Vivad se vishwas schemeVivad se vishwas scheme
Vivad se vishwas scheme
 
Income tax-notes PU
Income tax-notes PUIncome tax-notes PU
Income tax-notes PU
 
The Direct Tax Vivad se Vishwas Bill, 2020
The Direct Tax Vivad se Vishwas Bill, 2020The Direct Tax Vivad se Vishwas Bill, 2020
The Direct Tax Vivad se Vishwas Bill, 2020
 
Direct tax vivaad se vishwas scheme
Direct tax   vivaad se vishwas schemeDirect tax   vivaad se vishwas scheme
Direct tax vivaad se vishwas scheme
 
TDS
TDSTDS
TDS
 
Service Tax Voluntary Compliance Encouragement Scheme, 2013
Service Tax Voluntary Compliance Encouragement Scheme, 2013Service Tax Voluntary Compliance Encouragement Scheme, 2013
Service Tax Voluntary Compliance Encouragement Scheme, 2013
 
28. penalties.pdf
28. penalties.pdf28. penalties.pdf
28. penalties.pdf
 
28. penalties.pdf
28. penalties.pdf28. penalties.pdf
28. penalties.pdf
 
How can i resolve a tax dispute in UAE?
How can i resolve a tax dispute in UAE?How can i resolve a tax dispute in UAE?
How can i resolve a tax dispute in UAE?
 
VTDP
VTDPVTDP
VTDP
 
Unit 2 - Refund of Tax.pptx, tax law notes
Unit 2 - Refund of Tax.pptx, tax law notesUnit 2 - Refund of Tax.pptx, tax law notes
Unit 2 - Refund of Tax.pptx, tax law notes
 
Recent income tax disputes
Recent income tax disputesRecent income tax disputes
Recent income tax disputes
 
Collection Statute presentation
Collection Statute presentationCollection Statute presentation
Collection Statute presentation
 
Challenging IRS Tax Determinations
Challenging IRS Tax DeterminationsChallenging IRS Tax Determinations
Challenging IRS Tax Determinations
 
SABKA VISHWAS (Legacy Dispute Resolution) Scheme, 2019
SABKA VISHWAS (Legacy Dispute Resolution) Scheme, 2019 SABKA VISHWAS (Legacy Dispute Resolution) Scheme, 2019
SABKA VISHWAS (Legacy Dispute Resolution) Scheme, 2019
 
Gst tax refund
Gst  tax refundGst  tax refund
Gst tax refund
 
Wassim Zhani Chapter 18 Tax Practice and Procedure.pdf
Wassim Zhani Chapter 18 Tax Practice and Procedure.pdfWassim Zhani Chapter 18 Tax Practice and Procedure.pdf
Wassim Zhani Chapter 18 Tax Practice and Procedure.pdf
 
Direct Tax - Tax Alert Vivad Se Viswas - Eligibility to file application.pdf
Direct Tax - Tax Alert Vivad Se Viswas - Eligibility to file application.pdfDirect Tax - Tax Alert Vivad Se Viswas - Eligibility to file application.pdf
Direct Tax - Tax Alert Vivad Se Viswas - Eligibility to file application.pdf
 
ITR Filing Last Date 2023-24(24-25).pdf
ITR Filing Last Date 2023-24(24-25).pdfITR Filing Last Date 2023-24(24-25).pdf
ITR Filing Last Date 2023-24(24-25).pdf
 

Recently uploaded

Call Girls Near Me WhatsApp:+91-9833363713
Call Girls Near Me WhatsApp:+91-9833363713Call Girls Near Me WhatsApp:+91-9833363713
Call Girls Near Me WhatsApp:+91-9833363713Sonam Pathan
 
BPPG response - Options for Defined Benefit schemes - 19Apr24.pdf
BPPG response - Options for Defined Benefit schemes - 19Apr24.pdfBPPG response - Options for Defined Benefit schemes - 19Apr24.pdf
BPPG response - Options for Defined Benefit schemes - 19Apr24.pdfHenry Tapper
 
government_intervention_in_business_ownership[1].pdf
government_intervention_in_business_ownership[1].pdfgovernment_intervention_in_business_ownership[1].pdf
government_intervention_in_business_ownership[1].pdfshaunmashale756
 
Call Girls Near Golden Tulip Essential Hotel, New Delhi 9873777170
Call Girls Near Golden Tulip Essential Hotel, New Delhi 9873777170Call Girls Near Golden Tulip Essential Hotel, New Delhi 9873777170
Call Girls Near Golden Tulip Essential Hotel, New Delhi 9873777170Sonam Pathan
 
Monthly Market Risk Update: April 2024 [SlideShare]
Monthly Market Risk Update: April 2024 [SlideShare]Monthly Market Risk Update: April 2024 [SlideShare]
Monthly Market Risk Update: April 2024 [SlideShare]Commonwealth
 
Vip B Aizawl Call Girls #9907093804 Contact Number Escorts Service Aizawl
Vip B Aizawl Call Girls #9907093804 Contact Number Escorts Service AizawlVip B Aizawl Call Girls #9907093804 Contact Number Escorts Service Aizawl
Vip B Aizawl Call Girls #9907093804 Contact Number Escorts Service Aizawlmakika9823
 
chapter_2.ppt The labour market definitions and trends
chapter_2.ppt The labour market definitions and trendschapter_2.ppt The labour market definitions and trends
chapter_2.ppt The labour market definitions and trendslemlemtesfaye192
 
NO1 WorldWide Love marriage specialist baba ji Amil Baba Kala ilam powerful v...
NO1 WorldWide Love marriage specialist baba ji Amil Baba Kala ilam powerful v...NO1 WorldWide Love marriage specialist baba ji Amil Baba Kala ilam powerful v...
NO1 WorldWide Love marriage specialist baba ji Amil Baba Kala ilam powerful v...Amil baba
 
The Triple Threat | Article on Global Resession | Harsh Kumar
The Triple Threat | Article on Global Resession | Harsh KumarThe Triple Threat | Article on Global Resession | Harsh Kumar
The Triple Threat | Article on Global Resession | Harsh KumarHarsh Kumar
 
fca-bsps-decision-letter-redacted (1).pdf
fca-bsps-decision-letter-redacted (1).pdffca-bsps-decision-letter-redacted (1).pdf
fca-bsps-decision-letter-redacted (1).pdfHenry Tapper
 
SBP-Market-Operations and market managment
SBP-Market-Operations and market managmentSBP-Market-Operations and market managment
SBP-Market-Operations and market managmentfactical
 
VIP Kolkata Call Girl Serampore 👉 8250192130 Available With Room
VIP Kolkata Call Girl Serampore 👉 8250192130  Available With RoomVIP Kolkata Call Girl Serampore 👉 8250192130  Available With Room
VIP Kolkata Call Girl Serampore 👉 8250192130 Available With Roomdivyansh0kumar0
 
letter-from-the-chair-to-the-fca-relating-to-british-steel-pensions-scheme-15...
letter-from-the-chair-to-the-fca-relating-to-british-steel-pensions-scheme-15...letter-from-the-chair-to-the-fca-relating-to-british-steel-pensions-scheme-15...
letter-from-the-chair-to-the-fca-relating-to-british-steel-pensions-scheme-15...Henry Tapper
 
Governor Olli Rehn: Dialling back monetary restraint
Governor Olli Rehn: Dialling back monetary restraintGovernor Olli Rehn: Dialling back monetary restraint
Governor Olli Rehn: Dialling back monetary restraintSuomen Pankki
 
Financial Leverage Definition, Advantages, and Disadvantages
Financial Leverage Definition, Advantages, and DisadvantagesFinancial Leverage Definition, Advantages, and Disadvantages
Financial Leverage Definition, Advantages, and Disadvantagesjayjaymabutot13
 
Andheri Call Girls In 9825968104 Mumbai Hot Models
Andheri Call Girls In 9825968104 Mumbai Hot ModelsAndheri Call Girls In 9825968104 Mumbai Hot Models
Andheri Call Girls In 9825968104 Mumbai Hot Modelshematsharma006
 
call girls in Nand Nagri (DELHI) 🔝 >༒9953330565🔝 genuine Escort Service 🔝✔️✔️
call girls in  Nand Nagri (DELHI) 🔝 >༒9953330565🔝 genuine Escort Service 🔝✔️✔️call girls in  Nand Nagri (DELHI) 🔝 >༒9953330565🔝 genuine Escort Service 🔝✔️✔️
call girls in Nand Nagri (DELHI) 🔝 >༒9953330565🔝 genuine Escort Service 🔝✔️✔️9953056974 Low Rate Call Girls In Saket, Delhi NCR
 
Lundin Gold April 2024 Corporate Presentation v4.pdf
Lundin Gold April 2024 Corporate Presentation v4.pdfLundin Gold April 2024 Corporate Presentation v4.pdf
Lundin Gold April 2024 Corporate Presentation v4.pdfAdnet Communications
 
Attachment Of Assets......................
Attachment Of Assets......................Attachment Of Assets......................
Attachment Of Assets......................AmanBajaj36
 
magnetic-pensions-a-new-blueprint-for-the-dc-landscape.pdf
magnetic-pensions-a-new-blueprint-for-the-dc-landscape.pdfmagnetic-pensions-a-new-blueprint-for-the-dc-landscape.pdf
magnetic-pensions-a-new-blueprint-for-the-dc-landscape.pdfHenry Tapper
 

Recently uploaded (20)

Call Girls Near Me WhatsApp:+91-9833363713
Call Girls Near Me WhatsApp:+91-9833363713Call Girls Near Me WhatsApp:+91-9833363713
Call Girls Near Me WhatsApp:+91-9833363713
 
BPPG response - Options for Defined Benefit schemes - 19Apr24.pdf
BPPG response - Options for Defined Benefit schemes - 19Apr24.pdfBPPG response - Options for Defined Benefit schemes - 19Apr24.pdf
BPPG response - Options for Defined Benefit schemes - 19Apr24.pdf
 
government_intervention_in_business_ownership[1].pdf
government_intervention_in_business_ownership[1].pdfgovernment_intervention_in_business_ownership[1].pdf
government_intervention_in_business_ownership[1].pdf
 
Call Girls Near Golden Tulip Essential Hotel, New Delhi 9873777170
Call Girls Near Golden Tulip Essential Hotel, New Delhi 9873777170Call Girls Near Golden Tulip Essential Hotel, New Delhi 9873777170
Call Girls Near Golden Tulip Essential Hotel, New Delhi 9873777170
 
Monthly Market Risk Update: April 2024 [SlideShare]
Monthly Market Risk Update: April 2024 [SlideShare]Monthly Market Risk Update: April 2024 [SlideShare]
Monthly Market Risk Update: April 2024 [SlideShare]
 
Vip B Aizawl Call Girls #9907093804 Contact Number Escorts Service Aizawl
Vip B Aizawl Call Girls #9907093804 Contact Number Escorts Service AizawlVip B Aizawl Call Girls #9907093804 Contact Number Escorts Service Aizawl
Vip B Aizawl Call Girls #9907093804 Contact Number Escorts Service Aizawl
 
chapter_2.ppt The labour market definitions and trends
chapter_2.ppt The labour market definitions and trendschapter_2.ppt The labour market definitions and trends
chapter_2.ppt The labour market definitions and trends
 
NO1 WorldWide Love marriage specialist baba ji Amil Baba Kala ilam powerful v...
NO1 WorldWide Love marriage specialist baba ji Amil Baba Kala ilam powerful v...NO1 WorldWide Love marriage specialist baba ji Amil Baba Kala ilam powerful v...
NO1 WorldWide Love marriage specialist baba ji Amil Baba Kala ilam powerful v...
 
The Triple Threat | Article on Global Resession | Harsh Kumar
The Triple Threat | Article on Global Resession | Harsh KumarThe Triple Threat | Article on Global Resession | Harsh Kumar
The Triple Threat | Article on Global Resession | Harsh Kumar
 
fca-bsps-decision-letter-redacted (1).pdf
fca-bsps-decision-letter-redacted (1).pdffca-bsps-decision-letter-redacted (1).pdf
fca-bsps-decision-letter-redacted (1).pdf
 
SBP-Market-Operations and market managment
SBP-Market-Operations and market managmentSBP-Market-Operations and market managment
SBP-Market-Operations and market managment
 
VIP Kolkata Call Girl Serampore 👉 8250192130 Available With Room
VIP Kolkata Call Girl Serampore 👉 8250192130  Available With RoomVIP Kolkata Call Girl Serampore 👉 8250192130  Available With Room
VIP Kolkata Call Girl Serampore 👉 8250192130 Available With Room
 
letter-from-the-chair-to-the-fca-relating-to-british-steel-pensions-scheme-15...
letter-from-the-chair-to-the-fca-relating-to-british-steel-pensions-scheme-15...letter-from-the-chair-to-the-fca-relating-to-british-steel-pensions-scheme-15...
letter-from-the-chair-to-the-fca-relating-to-british-steel-pensions-scheme-15...
 
Governor Olli Rehn: Dialling back monetary restraint
Governor Olli Rehn: Dialling back monetary restraintGovernor Olli Rehn: Dialling back monetary restraint
Governor Olli Rehn: Dialling back monetary restraint
 
Financial Leverage Definition, Advantages, and Disadvantages
Financial Leverage Definition, Advantages, and DisadvantagesFinancial Leverage Definition, Advantages, and Disadvantages
Financial Leverage Definition, Advantages, and Disadvantages
 
Andheri Call Girls In 9825968104 Mumbai Hot Models
Andheri Call Girls In 9825968104 Mumbai Hot ModelsAndheri Call Girls In 9825968104 Mumbai Hot Models
Andheri Call Girls In 9825968104 Mumbai Hot Models
 
call girls in Nand Nagri (DELHI) 🔝 >༒9953330565🔝 genuine Escort Service 🔝✔️✔️
call girls in  Nand Nagri (DELHI) 🔝 >༒9953330565🔝 genuine Escort Service 🔝✔️✔️call girls in  Nand Nagri (DELHI) 🔝 >༒9953330565🔝 genuine Escort Service 🔝✔️✔️
call girls in Nand Nagri (DELHI) 🔝 >༒9953330565🔝 genuine Escort Service 🔝✔️✔️
 
Lundin Gold April 2024 Corporate Presentation v4.pdf
Lundin Gold April 2024 Corporate Presentation v4.pdfLundin Gold April 2024 Corporate Presentation v4.pdf
Lundin Gold April 2024 Corporate Presentation v4.pdf
 
Attachment Of Assets......................
Attachment Of Assets......................Attachment Of Assets......................
Attachment Of Assets......................
 
magnetic-pensions-a-new-blueprint-for-the-dc-landscape.pdf
magnetic-pensions-a-new-blueprint-for-the-dc-landscape.pdfmagnetic-pensions-a-new-blueprint-for-the-dc-landscape.pdf
magnetic-pensions-a-new-blueprint-for-the-dc-landscape.pdf
 

THE DIRECT TAX VIVAD SE VISHWAS SCHEME’2020

  • 1. VIVAD SE VISHWAS SCHEME’ 2020 Finance Bill 2020
  • 2. SILENT FEATURES OF THE SCHEME  FAQ is silent on the coverage of genuine delay in filing of appeal which is pending for condonation whether it should be covered considering the object of the scheme.  FAQ is silent on the coverage of miscellaneous application filed against order of tribunal.  What still remains out of the ambit is cases pending before the AAR and settlement commission?  Disputed tax Rs.5 Crore is considered for search and seizure cases . However if disputed amount is less and tax itself is Rs.5 Crore then such cases are not covered.
  • 3.  If we analyze the provisions of bill, we will appreciate the fact that the scheme will be opted only if tax, interest, penalty is disputed. There might be the cases where orders have been passed by income tax authorities, but the concern of aggrieved party is other than tax matters. Some of the example are as follows –  Order to cancel the registration of charitable trusts.  Order for refusal of 80G registration to a charitable trust.  Order of Refusal to grant stay of demand SILENT FEATURES OF THE SCHEME
  • 5. SCOPE & ELIGIBILITY Appeals covered VVD  Appeals pending before CIT(A), ITAT, High Court & Supreme Court  Writ petitions pending before High Court or Supreme Court  Special Leave petitions (SLPs) pending before Supreme Court  Cases where the order has been passed but time limit for filing appeal is not expired as on the specified date  Cases where objections filed before DRP and pending with DRP  DRP has given the directions but the final assessment order yet to be passed  Cases where revision application U/s 264 is pending before Pr.CIT or CIT  Where a declarant has initiated any proceeding or given any notice for arbitration, conciliation or mediation as referred to in clause 4 of the Bill (either in India or abroad)
  • 6. SCOPE & ELIGIBILITY  Where case is pending in arbitration which is eligible to apply for settlement even no appeal is pending  Writ petitions pending before High Court against AAR Order in which total income has determined  Where assessment has been set aside for giving opportunity/to carry fresh assessment (only the issues covered for set aside)  Cases pending before DRP & DRP issued the order but Assessing Officer has not passed the AO on or before the specified date  Draft AO passed and assessee waiting for final order with an intention to file appeal before CIT(A)  Notice for prosecution has been issued with reference to the tax arrears  Quantum appeal covering disputed tax before ITAT and appeal against penalty before CIT(A)
  • 7. Appeals not covered VVD  Dispute pending before AAR  Writ filed against a notice u/s 148 but no order has been passed consequent to the the notice U/s 148 – as total income is not determined  Interest U/s 234A, B & D filing application for waiving but no appeal filed  Delay in deposing of TDS/TCS  Disputes related to Wealth tax, security transaction tax, commodity transaction tax & tax & equalization levy  Prosecution has been initiated and is pending in court SCOPE & ELIGIBILITY
  • 8. SEARCH & SEIZURE (ASSESSMENT U/S 143(3)/144/153A/153C ON THE BASIS OF SEARCH U/S 132/132A)  If the amount of disputed tax exceeds Rs. 5crores – not covered under VVD  Out of 7 assessment years in respect of search & seizure, 4 A Ys disputed tax is 5crores or less in each year & for 3 years disputed tax is exceeding 5 crores – - for 4 years - covered under VVD - for 3 years - not covered under VVD Example Year D. Tax (in VVD Year D. Tax (in VVD 1 7.5 Not covered 4 6.2 Not covered 2 2 Covered 5 1.2 Covered 3 2.5 Covered 6 .50 Covered
  • 9. SCOPE & ELIGIBILITY Disputes covered under VVD  Disputed tax  Disputed interest (even assessed tax is not disputed)  Disputed penalty  Disputed TDS/TCS  Imposition of fees u/s 234E, 234F (25% or 30% of disputed fee has to be paid)  Appeal against interest levied on late payment of TDS/TCS
  • 10. SCOPE & ELIGIBILITY Disputes covered under VVD  Where CIT(A) has issued the enhancement notice on or before 31.01.2020 (the disputed tax will be increased by tax related to enhancement)  Appeal against penalty/interest/fee disposed by CIT(A) and time to file appeal to ITAT has not expired as on specified date  Where disputed demand either partly or fully paid (appellant will entitled refund without interest U/s 244A)
  • 11. SCOPE & ELIGIBILITY VVD Covered in different situations  Due date of filing of appeal is after 31.3.2020 and the appeal yet to be filed  Appeal pending before High Court for admission as on 31.03.2020  Department filed appeal against ITAT Order (by paying 50% of disputed tax)  Where the appeal is pending before ITAT against 143(3). Subsequently another order under section147/143(3) was passed for the same assessment year and that is pending before CIT(A) .Option to select either of two or both appeals for same assessment year.
  • 12. SCOPE & ELIGIBILITY Other Points:  Appellant can avail VVD irrespective of the tax arrears have been paid either partly or fully or are outstanding  For one pending appeal, all the issues will be covered under VVD i.e. disputed issues as well as undisputed issues. Picking and choosing issues for settlement of an appeal is not allowed.
  • 14. TAXES REQUIRED TO BE PAID UNDER VVD Payment made on or before Appeal relates to disputed tax Appeals relates only to disputed penalty or interest or fee 31st March 2020 100% of disputed tax (125% in search cases) 25% of disputed penalty or interest or fee 30th June 2020 110% of disputed tax (135% in search cases) 30% of disputed penalty or interest or fee If the appeal is filed by the department – 50% of the aforesaid amounts
  • 15. DISPUTED TAX CALCULATION  Appeal/arbitration is pending on the specified date but rectification order passed by the AO to increase/reduce the total assessed income and tax liability than- - Disputed tax would be calculated after giving effect to the rectification order passed  Credit for taxes paid against disputed taxes shall be available Example –  DRP Order has been passed giving relief to the assesse and department has filed appeal - 50% of the amount has to be paid to settle the department appeal Particulars Amount (Rs.) Disputed tax 10,000 Less: Taxes already paid before filing declaration 8,000 Balance tax payable after declaration 2,000
  • 16. Calculation of Disputed tax along with interest paid by the assessee while being appeal: DISPUTED TAX CALCULATION Particulars Amount (Rs.) Tax at the time of filing of Return 30,000 Add: Disputed tax during assessment 10,000 Total Tax 40,000 Add: Interest U/s 234B at the time of filing of return 1,000 Disputed interest arise on disputed tax 6,000 Total tax along with interest 47,000 Less: Self assessment tax paid 31,000 Balance tax payable 16,000 Tax paid on Regular Assessment before filing appeal 14,000 The appellant is entitled to get refund on excess payment of disputed tax i.e. Disputed tax – Tax paid (10000-14,000 = 4000) ** Interest of Rs. 6000/-, interest U/s 220(2) and penalty levied will be waived.
  • 17. Computation of disputed tax where assessment has been set aside for giving proper opportunity to an assessee on the additions carried out by the AO: If appellant authority set aside the additions made by AO, the DISPUTED TAX CALCULATION Particulars Addition 1 Addition 2 Additions made by the Assessing Officer 20,000 30000 Tax on the above additions 6,240 9360 Interest on tax 2,500 3,500  CIT(A) confirm the two additions. ITAT confirm addition 1 & set aside addition 2 and the assessee has time limit to file appeal on first addition against ITAT Order, the assessee can avail VVD by covering both additions and the disputed tax is sum of both the additions (i.e. 6,240 + 9,360) and interest waive off is (2,500+3,500).
  • 18.  Where the deductor settles TDS appeal or withdraws arbitration against order u/s 201, -The deductee will be eligible to claim the credit of taxes in respect of such dispute resolution under VVD as on date of settlement of dispute by the deductor and hence DISPUTED TAX CALCULATION ON TDS ISSUES
  • 19. SUBSTANTIVE & PROTECTIVE ADDITION - VVD  If substantive addition is eligible to covered under VVD, AO shall pass rectification order deleting the protective addition on same issue in which the settlement was done under VVD in the case of same assessee or in the case of another assessee. RELIEF FROM SUPREME COURT - VVD If the appellant got decision in his favour from Supreme Court on an issue, there is no dispute with regard to that issue then assessee need not settle that issue. If that issue is part of multiple issues, the disputed tax will be calculated on other issues considering nil tax on this issue.
  • 20. DEEMED APPEAL When time to file appeal has not expired then it is considered as deemed appeal. ASSESSEE APPEAL AND DEPARTMENTAL APPEAL FOR ANY ASSESSMENT YEAR Assessee having an option to file declaration –  only for assessee’s appeal (or)  only for departmental appeal (or)  both
  • 21.  DRP has issued the direction confirming the additions and AO has passed the order accordingly. The issues confirmed by DRP include an issue on which taxpayer has got the favorable order from ITAT in an earlier year (not reversed by High Court or Supreme court) - The disputed tax shall be computed at half of normal rate of 100%, 110%, 125% or 135%  If ITAT has passed order giving relief on two issues and confirming three issues. The time limit for filing appeal has not expired, - Assessee have an option to file declaration either for confirming issues or both (i.e including issues on which relief is granted) If assessee file declaration only for confirming issues, then the department is free to file appeal on other issues.
  • 23. Time limit for paying taxes Particulars Time Limit Declaration of tax payable by the assessee & granting a certificate for tax arrears & amounts payable. Within 15 days from the date of receipt of declaration Time limit for payment of tax Declarant shall pay the tax within 15 days from the date of receipt of certificate. Note: 15 days is outer limit, the DA shall be instructed to grant a certificate at an early to enable the declarant to pay tax on or before 31st March’ 2020.  The appeal/arbitration/conciliation/mediation is withdrawn after granting the certificate by DA.
  • 24. Order passed by DA after payment of disputed taxes:  The DA pass an order after payment of taxes stating that the declarant has paid taxes.  The DA shall be able to amend his order to rectify if there is any apparent error  After passing the order the AO cannot institute any proceedings in respect of offence, or impose or levy any penalty, or charge any interest.  Once the tax paid under VVD scheme, which shall not be refundable under any circumstances.  No appellate forum or arbitrator, conciliator or mediator shall proceed to decide any issue relating to tax arrears mentioned in the declaration in respect of which the order is passed by the DA or the payment of sum determined by the DA.  On intimation of payment to the DA by the appellant pertaining to department appeal/writ/SLP, the department shall withdraw such appeal/writ/SLP.  The declaration will be null and void if the tax payment was not made under any circumstances, once declaration is filed under VVD.
  • 25. CONSEQUENCES  Immunity from prosecution  Waive of interest & penalty  Result of VVD is not applied to the same issues pending before AO or subsequent assessments.  Secondary adjustments u/s 92CE is applicable. But if there is any primary adjustments for AY 2016-17 or earlier AY, It is not subject to secondary adjustments u/s 92CE of the act.  Where dispute in relation to the reduction of MAT credit/reduction of loss or depreciation, the appellant shall have an option – Include the amount of tax related to such MAT credit or loss or depreciation; (or) To carry forward the reduced credit or loss or depreciation. CBDT will prescribe the manner of calculation in these cases.
  • 26. Contact us: S N & Co Chartered Accountants Mumbai & Singapore Tel No. 022-28910968 +91-9967016999 Website: www.snco.in Email Id: darshak@snco.in Disclaimer: The views in this VVD presentation are personal views of the Presenter. Further, the information contained is of a general nature for explaining the topics and issues. The VVD presentation is not intended to serve as an advice or address the circumstances of any particular individual or entity. No one should act on such / this information without appropriate professional advice which is possible only after a thorough examination of facts / particular situation.