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Equalisation Levy –
Taxing the Digital
Economy
Overview and
Applicability
Contents
Background – Tax Challenges of Digital Economy
What is Equalisation Levy (EL)?
Definition of E-commerce operator & E-commerce supply of services (ESS)
Applicability of ESS EL
Exclusions to ESS EL
Compliances under Income-tax Act
Penal consequences
Uncertainties in ESS EL
Concluding Remarks
SBC Value Proposition
Background – Tax Challenges of
Digital Economy
The increase in potential of digital technologies and reduced
need for extensive physical presence to carry out business raises
questions as to whether the current rules to determine nexus
with a jurisdiction for tax purposes are appropriate
The growth in sophistication of information technologies has
permitted digital economies to gather and use information across
borders. This creates issues of how to attribute value created
from generation of data through digital products and services.
Limitation of traditional PE definition requiring physical presence;
double non-taxation due to lack of taxation in source jurisdiction
and residence jurisdiction pose threat on taxation of digital
economy
What is Equalisation Levy?
To address the tax challenges of digital economy, G20 /
OECD BEPS Action Plan 1 has proposed introducing an
equalisation levy to serve as a way to tax a non-resident
enterprise’s Significant Economic Presence in a country
India has first introduced Equalisation levy (EL) in 2016 @
6% on online advertising revenue earned by non-residents
This scope is expanded in 2020 to levy EL on E-commerce
Transactions w.e.f. 01 April 2020. EL on e-commerce was
introduced by way of Amendment to Finance Bill, 2020
The E-Commerce EL will apply at the rate of 2% on the
gross consideration received or receivable by the non-
resident e-commerce operator from specified transactions
where such receipts exceed INR 2 crores during the FY
Wide definition of E- commerce Operator
& E- commerce Supply of services
 “E-commerce operator” means a non-resident who owns, manages
or operates digital or electronic facility or platform for online sale of
goods or online provision of services or both
 “E-commerce supply of services” (ESS) means:
• Online sale of goods owned by the e-commerce operator; or
• Online provision of services provided by the e-commerce
operator; or
• Online sale of goods or provision of services or both, facilitated
by the e-commerce operator; or
• Any combination of activities listed above
 “Online” is defined as a facility or service or right or benefit or access
that is obtained through the internet or any other form of digital or
telecommunication network
Applicability of ESS EL
As per the provisions, EL shall be applicable only where the
e-commerce operator provides or facilitates ESS to any of
the following persons:
 Person resident in India; or
 Person who buys goods or services or both using IP address located
in India; or
 A non-resident in certain situations:
• Sale of advertisement which targets a customer who is a
resident in India or a customer who accesses the advertisement
through IP address located in India
• Sale of data collected from a person who is a resident in India
or a person who uses IP address located in India
Exclusions to ESS EL
There are certain exemptions provided in the EL provisions. As per
Section 165A(2) of FA 2016, ESS EL shall not be charged in the following
situations:
 Where the e-commerce operator has a permanent establishment in
India and such ESS is effectively connected with such permanent
establishment;
 Where the equalisation levy is leviable on online advertisement and
related activities;
 Sales, turnover or gross receipts, of the e-commerce operator from
the ESS made or provided or facilitated is less than INR 2 crores during
the FY
Income which is subject to EL will be exempt from Income-tax under the
provisions of the Indian Income-tax from FY 2021-22
Compliances under Income- tax Act
Quarter ending Due date
30 June 07th July
30 September 07th October
31 December 07th January
31 March 31st March
The ESS EL @ 2% shall be paid by the e-commerce operator
and not as a withholding tax by the payer.
Example – Where a US Company (a non-resident e-commerce operator) in a
digital platform or facility, it will have to make payment of EL to the
Government of India
The EL is required to be deposited by the e-commerce
operator to the credit of Govt of India on a quarterly basis as
per the due dates mentioned in table below:
Also, every person
subjected to ESS EL is
required to furnish an
annual EL statement on or
before 30th June of each
year
Penal consequences under
Income-tax Act
Consequences on failure to pay EL:
Any delay in payment would be subjected to simple interest
@ 1% pm for period of delay
Any default in payment may result in a penalty equal to EL
in default
Consequences on failure to file Annual EL Statement:
Failure to furnish statement as mentioned above shall
attract a penalty of INR 100/- for each day of default
Where a false statement has been filed, the e-commerce
operator may be subjected to imprisonment of up to 3
years and fine
Uncertainties in ESS EL
Consideration:
Whether indirect taxes to be included in consideration?
Discount / cash backs to be included in consideration?
Sales Return adjustment (particularly in last month of
quarter / year) – How to treat them?
If EL on initial INR 2 crores is charged after crossing the
threshold, can interest be levied for delay in payment of EL?
And Penal consequences on the same?
The threshold is qua e-commerce operator or qua each
buyer or service recipient
Uncertainties in ESS EL (contd)
Exemption from Income-tax (Section 10(50)):
The amended S.10(50) states that any income arising from
ESS made or provided or facilitated on or after 01 April
2021 and chargeable to EL shall be exempt from Income-tax
However, ESS EL shall be applicable from 01 April 2020
In conclusion, while ESS EL is applicable from 01 April 2020,
exemption is available from FY 2021-22? Chances of double
taxation during FY 2020-21?
Credit of EL:
Whether credit of EL paid shall be available in the country
of residence?
Concluding Remarks
 Top technology companies across the globe have expressed
concerns over the new levy as the effective time for complying
with the new levy is too short with many clarifications needed
 Even the existing systems may need overhaul as IP address need
to be tracked while providing services
 Considering current COVID situation and the uncertainties
discussed earlier, several representations have been made to
defer the implementation of levy or provide clarifications
 However, the Government has recently in July 2020, modified the
challan for payment of EL to include Non-resident ESS
 Hence, Companies would need to evaluate in detail the
implications of this amendment to be compliant and avoid penal
consequences
How can SBC help
Our Value proposition
How can we help
EL Applicability
 Analyze the transactions to see if EL would impact your current
business transactions particularly where income is being received
from Indian companies (viz., provision of software services, etc.)
 Review of agreements and documentation to evaluate the extent of
applicability of EL and advise any mechanism to minimize tax leakage
 Evaluate business models, mode of contracting and delivery of goods /
services
COMPLIANCES
 Assisting in calculating quarterly EL to be paid by NR company
 Assisting in obtaining PAN in India
 Assisting in annual filing of EL returns
CONTACT US
For more details please logon to http://www.steadfastconsultants.in
DELHI MUMBAI CHENNAI BANGALORE
Suite 5, Level 3, Reliance Cyber
Ville,, Madhapur, Hitech City,
Hyderabad – 500081
C- 699A, 1st Floor, Sector-7,
Palam Extn., Dwarka, New
Delhi, Delhi 110075
Flat no.3, Plot no.226/227,
Sion East, Mumbai - 400022
Old no 19, New no 13B, New
Bangaru colony first Street,
KK Nagar West, Chennai
600078
90/1, 3rd Floor, Pasha South
Square, Rathavilas Road,
Basavangudi, Bangalore -
560004
Vijayawada : # 56-11-3, Sri Devi Complex, Y.V.R Street, MG Road, Patamata, Vijayawada, Andhra
Pradesh
Tirupati : H. No: 6-154/1, Syamala Nilayam, Near Water Tank, Akkarampalli, Tirupathi, Andhra
Pradesh
Vishakhapatnam: Level 3, Kupilli Arcade, Akkayyapalem, Visakhapatnam 530016,
Andhra Pradesh
Kurnool: #21, Top Floor, Skandanshi Vyapaar, New Bus Stand Road, Kurnool 518 003, Andhra
Pradesh
Overseas :
UAE Address: 2103, Bayswater Tower, Business Bay,
Dubai, UAE
USA Address: SBC LLC, 8 The Green, Suite
A in the City of Dover, Delaware - 19901
HYDERABAD
THANKYOU

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Direct Tax - Equalisation Levy - SBC Analysis.pdf

  • 1. Equalisation Levy – Taxing the Digital Economy Overview and Applicability
  • 2. Contents Background – Tax Challenges of Digital Economy What is Equalisation Levy (EL)? Definition of E-commerce operator & E-commerce supply of services (ESS) Applicability of ESS EL Exclusions to ESS EL Compliances under Income-tax Act Penal consequences Uncertainties in ESS EL Concluding Remarks SBC Value Proposition
  • 3. Background – Tax Challenges of Digital Economy The increase in potential of digital technologies and reduced need for extensive physical presence to carry out business raises questions as to whether the current rules to determine nexus with a jurisdiction for tax purposes are appropriate The growth in sophistication of information technologies has permitted digital economies to gather and use information across borders. This creates issues of how to attribute value created from generation of data through digital products and services. Limitation of traditional PE definition requiring physical presence; double non-taxation due to lack of taxation in source jurisdiction and residence jurisdiction pose threat on taxation of digital economy
  • 4. What is Equalisation Levy? To address the tax challenges of digital economy, G20 / OECD BEPS Action Plan 1 has proposed introducing an equalisation levy to serve as a way to tax a non-resident enterprise’s Significant Economic Presence in a country India has first introduced Equalisation levy (EL) in 2016 @ 6% on online advertising revenue earned by non-residents This scope is expanded in 2020 to levy EL on E-commerce Transactions w.e.f. 01 April 2020. EL on e-commerce was introduced by way of Amendment to Finance Bill, 2020 The E-Commerce EL will apply at the rate of 2% on the gross consideration received or receivable by the non- resident e-commerce operator from specified transactions where such receipts exceed INR 2 crores during the FY
  • 5. Wide definition of E- commerce Operator & E- commerce Supply of services  “E-commerce operator” means a non-resident who owns, manages or operates digital or electronic facility or platform for online sale of goods or online provision of services or both  “E-commerce supply of services” (ESS) means: • Online sale of goods owned by the e-commerce operator; or • Online provision of services provided by the e-commerce operator; or • Online sale of goods or provision of services or both, facilitated by the e-commerce operator; or • Any combination of activities listed above  “Online” is defined as a facility or service or right or benefit or access that is obtained through the internet or any other form of digital or telecommunication network
  • 6. Applicability of ESS EL As per the provisions, EL shall be applicable only where the e-commerce operator provides or facilitates ESS to any of the following persons:  Person resident in India; or  Person who buys goods or services or both using IP address located in India; or  A non-resident in certain situations: • Sale of advertisement which targets a customer who is a resident in India or a customer who accesses the advertisement through IP address located in India • Sale of data collected from a person who is a resident in India or a person who uses IP address located in India
  • 7. Exclusions to ESS EL There are certain exemptions provided in the EL provisions. As per Section 165A(2) of FA 2016, ESS EL shall not be charged in the following situations:  Where the e-commerce operator has a permanent establishment in India and such ESS is effectively connected with such permanent establishment;  Where the equalisation levy is leviable on online advertisement and related activities;  Sales, turnover or gross receipts, of the e-commerce operator from the ESS made or provided or facilitated is less than INR 2 crores during the FY Income which is subject to EL will be exempt from Income-tax under the provisions of the Indian Income-tax from FY 2021-22
  • 8. Compliances under Income- tax Act Quarter ending Due date 30 June 07th July 30 September 07th October 31 December 07th January 31 March 31st March The ESS EL @ 2% shall be paid by the e-commerce operator and not as a withholding tax by the payer. Example – Where a US Company (a non-resident e-commerce operator) in a digital platform or facility, it will have to make payment of EL to the Government of India The EL is required to be deposited by the e-commerce operator to the credit of Govt of India on a quarterly basis as per the due dates mentioned in table below: Also, every person subjected to ESS EL is required to furnish an annual EL statement on or before 30th June of each year
  • 9. Penal consequences under Income-tax Act Consequences on failure to pay EL: Any delay in payment would be subjected to simple interest @ 1% pm for period of delay Any default in payment may result in a penalty equal to EL in default Consequences on failure to file Annual EL Statement: Failure to furnish statement as mentioned above shall attract a penalty of INR 100/- for each day of default Where a false statement has been filed, the e-commerce operator may be subjected to imprisonment of up to 3 years and fine
  • 10. Uncertainties in ESS EL Consideration: Whether indirect taxes to be included in consideration? Discount / cash backs to be included in consideration? Sales Return adjustment (particularly in last month of quarter / year) – How to treat them? If EL on initial INR 2 crores is charged after crossing the threshold, can interest be levied for delay in payment of EL? And Penal consequences on the same? The threshold is qua e-commerce operator or qua each buyer or service recipient
  • 11. Uncertainties in ESS EL (contd) Exemption from Income-tax (Section 10(50)): The amended S.10(50) states that any income arising from ESS made or provided or facilitated on or after 01 April 2021 and chargeable to EL shall be exempt from Income-tax However, ESS EL shall be applicable from 01 April 2020 In conclusion, while ESS EL is applicable from 01 April 2020, exemption is available from FY 2021-22? Chances of double taxation during FY 2020-21? Credit of EL: Whether credit of EL paid shall be available in the country of residence?
  • 12. Concluding Remarks  Top technology companies across the globe have expressed concerns over the new levy as the effective time for complying with the new levy is too short with many clarifications needed  Even the existing systems may need overhaul as IP address need to be tracked while providing services  Considering current COVID situation and the uncertainties discussed earlier, several representations have been made to defer the implementation of levy or provide clarifications  However, the Government has recently in July 2020, modified the challan for payment of EL to include Non-resident ESS  Hence, Companies would need to evaluate in detail the implications of this amendment to be compliant and avoid penal consequences
  • 13. How can SBC help Our Value proposition
  • 14. How can we help EL Applicability  Analyze the transactions to see if EL would impact your current business transactions particularly where income is being received from Indian companies (viz., provision of software services, etc.)  Review of agreements and documentation to evaluate the extent of applicability of EL and advise any mechanism to minimize tax leakage  Evaluate business models, mode of contracting and delivery of goods / services COMPLIANCES  Assisting in calculating quarterly EL to be paid by NR company  Assisting in obtaining PAN in India  Assisting in annual filing of EL returns
  • 15. CONTACT US For more details please logon to http://www.steadfastconsultants.in DELHI MUMBAI CHENNAI BANGALORE Suite 5, Level 3, Reliance Cyber Ville,, Madhapur, Hitech City, Hyderabad – 500081 C- 699A, 1st Floor, Sector-7, Palam Extn., Dwarka, New Delhi, Delhi 110075 Flat no.3, Plot no.226/227, Sion East, Mumbai - 400022 Old no 19, New no 13B, New Bangaru colony first Street, KK Nagar West, Chennai 600078 90/1, 3rd Floor, Pasha South Square, Rathavilas Road, Basavangudi, Bangalore - 560004 Vijayawada : # 56-11-3, Sri Devi Complex, Y.V.R Street, MG Road, Patamata, Vijayawada, Andhra Pradesh Tirupati : H. No: 6-154/1, Syamala Nilayam, Near Water Tank, Akkarampalli, Tirupathi, Andhra Pradesh Vishakhapatnam: Level 3, Kupilli Arcade, Akkayyapalem, Visakhapatnam 530016, Andhra Pradesh Kurnool: #21, Top Floor, Skandanshi Vyapaar, New Bus Stand Road, Kurnool 518 003, Andhra Pradesh Overseas : UAE Address: 2103, Bayswater Tower, Business Bay, Dubai, UAE USA Address: SBC LLC, 8 The Green, Suite A in the City of Dover, Delaware - 19901 HYDERABAD