SlideShare a Scribd company logo
1 of 5
Download to read offline
Dewan P. N. Chopra & Co.
Revision of India – Singapore Tax Treaty
India revised tax treaty with Singapore to provide capital gains taxation similar to revised
India-Mauritius treaty. The amendment provides for source-based taxation of capital gains
arising from shares acquired on or after 1st Apr 2017.
Revised treaty provides that capital gains on investments made upto March 31, 2017 will
be exempt subject to fulfilment of conditions in Limitation of Benefits (LOB) clause as per
2005 protocol; For the period of 2 years starting from April 1, 2017, capital gains will be
taxed at the rate limited to 50% of the domestic tax rates and capital gains will be fully
taxable in India from April 1, 2019.
The changes are illustrated in the chart below.
S.No. Saver In Investee
Co. In
Shares Acquired Shares Sold Tax Treatment
in India
1 Singapore India Before 1st Apr. 2017 Any date Tax Exempt in
India
2 Singapore India After 1st Apr. 2017 Before 1st Apr 2019 Taxable @50%
of domestic tax
rate
3 Singapore India After 1st Apr. 2017 After 1st Apr 2019 Taxable at full
rate of tax
The benefits of taxation given at S.No. 1 and 2 supra will not available to a resident shell or
conduit company of a contracting state if its affairs were arranged with the primary
purpose to take advantage of the benefits given at S.No. 1 and 2.
For definition of shell and/or conduit company. Kindly refer to “Article 3” of the Third
protocol amending the agreement. Copy of the third protocol amending the agreement is
enclosed as below.
The Third Protocol to the India - Singapore DTAA also inserts provisions to facilitate
relieving of economic double taxation in transfer pricing cases; Government Press Release
states that
"This is a taxpayer friendly measure and is in line with India’s commitments under Base
Erosion and Profit Shiftin (BEPS) Action Plan to meet the minimum standard of providing
Mutual Agreement Procedure (MAP) access in transfer pricing cases"; Revised India -
Singapore treaty also enables application of domestic law and measures concerning
prevention of tax avoidance or tax evasion”
Disclaimer: For details Please see relevant provisions of India – Singapore DTAA
referred to above. This note in brief, is not substitute for the readers or any person’s
independent evaluations and analysis.
THIRD PROTOCOL AMENDING THE AGREEMENT BETWEEN
THE GOVERNMENT OF THE REPUBLIC OF SINGAPORE
AND
THE GOVERNMENT OF THE REPUBLIC OF INDIA
FOR THE AVOIDANCE OF DOUBLE TAXATION
AND THE PREVENTION OF FISCAL EVASION
WITH RESPECT TO TAXES ON INCOME
NOTE
This Protocol was signed on 30 December 2016.
However, the Protocol is not yet ratified and therefore does not have the force of law.
The Government of the Republic of Singapore and the Government of the Republic of India,
Desiring to conclude a Third Protocol to amend the Agreement between the Government of the
Republic of Singapore and the Government of the Republic of India for the Avoidance of Double
Taxation and the Prevention of Fiscal Evasion with respect to Taxes on Income, signed at India
on 24 January 1994, as amended by the Protocol signed at India on 29 June 2005 (hereinafter
referred to as “the 2005 Protocol”) and by the Second Protocol signed at India on 24 June 2011
(the Agreement so amended hereinafter referred to as “the Agreement”),
Have agreed as follows:
ARTICLE 1
1. The existing paragraph of Article 9 - Associated Enterprises of the Agreement shall be
numbered as paragraph 1; and
2. After the said paragraph 1, the following paragraph shall be inserted:
“2. Where a Contracting State includes in the profits of an enterprise of that State –
and taxes accordingly – profits on which an enterprise of the other Contracting State has
been charged to tax in that other State and the profits so included are profits which would
have accrued to the enterprise of the first-mentioned State if the conditions made between
the two enterprises had been those which would have been made between independent
enterprises, then that other State shall make an appropriate adjustment to the amount of
the tax charged therein on those profits. In determining such adjustment, due regard shall
be had to the other provisions of this Agreement and the competent authorities of the
Contracting States shall if necessary consult each other.”
ARTICLE 2
Article 13 - Capital Gains of the Agreement shall be amended, with effect from 1 April 2017:
(i) by deleting paragraph 4; and
(ii) by inserting the following paragraphs:
“4A. Gains from the alienation of shares acquired before 1 April 2017 in a company
which is a resident of a Contracting State shall be taxable only in the Contracting State in
which the alienator is a resident.
4B. Gains from the alienation of shares acquired on or after 1 April 2017 in a company
which is a resident of a Contracting State may be taxed in that State.
4C. However, the gains referred to in paragraph 4B of this Article which arise during
the period beginning on 1 April 2017 and ending on 31 March 2019 may be taxed in the
State of which the company whose shares are being alienated is a resident at a tax rate
that shall not exceed 50% of the tax rate applicable on such gains in that State.
5. Gains from the alienation of any property other than that referred to in paragraphs
1, 2, 3, 4A and 4B of this Article shall be taxable only in the Contracting State of which the
alienator is a resident.”
ARTICLE 3
The Agreement is amended by adding after Article 24, the following Article, with effect from 1 April
2017:
“ARTICLE 24A
1. A resident of a Contracting State shall not be entitled to the benefits of paragraph 4A or
paragraph 4C of Article 13 of this Agreement if its affairs were arranged with the primary purpose
to take advantage of the benefits in the said paragraph 4A or paragraph 4C of Article 13 of this
Agreement, as the case may be.
2. A shell or conduit company that claims it is a resident of a Contracting State shall not be
entitled to the benefits of paragraph 4A or paragraph 4C of Article 13 of this Agreement. A shell
or conduit company is any legal entity falling within the definition of resident with negligible or nil
business operations or with no real and continuous business activities carried out in that
Contracting State.
3. A resident of a Contracting State is deemed to be a shell or conduit company if its annual
expenditure on operations in that Contracting State is less than S$200,000 in Singapore or Indian
Rs.5,000,000 in India, as the case may be:
(a) in the case of paragraph 4A of Article 13 of this Agreement, for each of the 12-
month periods in the immediately preceding period of 24 months from the date on
which the gains arise;
(b) in the case of paragraph 4C of Article 13 of this Agreement, for the immediately
preceding period of 12 months from the date on which the gains arise.
4. A resident of a Contracting State is deemed not to be a shell or conduit company if:
(a) it is listed on a recognised stock exchange of the Contracting State; or
(b) its annual expenditure on operations in that Contracting State is equal to or more
than S$200,000 in Singapore or Indian Rs.5,000,000 in India, as the case may be:
(i) in the case of paragraph 4A of Article 13 of this Agreement, for each of the
12-month periods in the immediately preceding period of 24 months from
the date on which the gains arise;
(ii) in the case of paragraph 4C of Article 13 of this Agreement, for the
immediately preceding period of 12 months from the date on which the
gains arise.
5. For the purpose of paragraph 4(a) of this Article, a recognised stock exchange means:
(a) in the case of Singapore, the securities market operated by the Singapore
Exchange Limited, Singapore Exchange Securities Trading Limited and The
Central Depository (Pte) Limited; and
(b) in the case of India, a stock exchange recognised by the Securities and Exchange
Board of India.
Explanation: The cases of legal entities not having bona fide business activities shall be covered
by paragraph 1 of this Article."
ARTICLE 4
Articles 1, 3, 5 and 6 of the 2005 Protocol shall be deleted, with effect from 1 April 2017.
ARTICLE 5
The Agreement is amended by adding after Article 28, the following Article:
“ARTICLE 28A
MISCELLANEOUS
This Agreement shall not prevent a Contracting State from applying its domestic law and
measures concerning the prevention of tax avoidance or tax evasion.“
ARTICLE 6
Each of the Contracting States shall complete the procedures required by its law for the bringing
into force of this Protocol and notify the other State about such completion of the procedures. This
Protocol shall enter into force on the date of the later of these notifications. If this Protocol does
not enter into force as at 31 March 2017 due to either of the aforesaid notifications remaining
pending, this Protocol shall enter into force on 1 April 2017.
ARTICLE 7
This Protocol, which shall form an integral part of the Agreement, shall remain in force as long as
the Agreement remains in force and shall apply as long as the Agreement itself is applicable.
IN WITNESS WHEREOF, the undersigned, duly authorised thereto by their respective
Governments, have signed this Protocol.
DONE in duplicate at New Delhi on this 30th
day of December 2016, in the English and Hindi
languages, both texts being equally authentic. In the case of divergence between the two texts,
the English text shall be the operative one.
FOR THE GOVERNMENT OF FOR THE GOVERNMENT OF
THE REPUBLIC OF SINGAPORE THE REPUBLIC OF INDIA
H.E. Lim Thuan Kuan Shri Sushil Chandra
High Commissioner of the Republic of Chairman, Central Board of Direct Taxes
Singapore to India

More Related Content

What's hot

2017 Transfer Pricing Overview for Hungary
2017 Transfer Pricing Overview for Hungary2017 Transfer Pricing Overview for Hungary
2017 Transfer Pricing Overview for HungaryAccace
 
KSA VAT - Value Added Tax Implementing Regulations
KSA VAT - Value Added Tax Implementing RegulationsKSA VAT - Value Added Tax Implementing Regulations
KSA VAT - Value Added Tax Implementing RegulationsSandeep Mahindra
 
GCC Excise Tax - UAE - Aug 2017
GCC Excise Tax - UAE - Aug 2017GCC Excise Tax - UAE - Aug 2017
GCC Excise Tax - UAE - Aug 2017Sandeep Mahindra
 
Labour Law and Employment in Hungary - 2017 Guide
Labour Law and Employment in Hungary - 2017 GuideLabour Law and Employment in Hungary - 2017 Guide
Labour Law and Employment in Hungary - 2017 GuideAccace
 
Interest u/sec.50(1) of CGST Act
Interest u/sec.50(1) of CGST ActInterest u/sec.50(1) of CGST Act
Interest u/sec.50(1) of CGST ActPriyank Shah
 
Kingdom of Saudi Arabia (KSA) Value Added Tax (VAT) Law (with Index)
Kingdom of Saudi Arabia (KSA) Value Added Tax (VAT) Law (with Index)Kingdom of Saudi Arabia (KSA) Value Added Tax (VAT) Law (with Index)
Kingdom of Saudi Arabia (KSA) Value Added Tax (VAT) Law (with Index)Pankaj S. Jain
 
Functionality on section 206ab and 206cca
Functionality on section 206ab and 206ccaFunctionality on section 206ab and 206cca
Functionality on section 206ab and 206ccaSrikanthKarnekota
 

What's hot (12)

2017 Transfer Pricing Overview for Hungary
2017 Transfer Pricing Overview for Hungary2017 Transfer Pricing Overview for Hungary
2017 Transfer Pricing Overview for Hungary
 
Form of accounting service contract in viet nam
Form of accounting service contract in viet namForm of accounting service contract in viet nam
Form of accounting service contract in viet nam
 
KSA VAT - Value Added Tax Implementing Regulations
KSA VAT - Value Added Tax Implementing RegulationsKSA VAT - Value Added Tax Implementing Regulations
KSA VAT - Value Added Tax Implementing Regulations
 
File 2 of 2
File 2 of 2File 2 of 2
File 2 of 2
 
GCC Excise Tax - UAE - Aug 2017
GCC Excise Tax - UAE - Aug 2017GCC Excise Tax - UAE - Aug 2017
GCC Excise Tax - UAE - Aug 2017
 
GST Series 1 by ourCAgang
GST Series 1 by ourCAgangGST Series 1 by ourCAgang
GST Series 1 by ourCAgang
 
Labour Law and Employment in Hungary - 2017 Guide
Labour Law and Employment in Hungary - 2017 GuideLabour Law and Employment in Hungary - 2017 Guide
Labour Law and Employment in Hungary - 2017 Guide
 
Interest u/sec.50(1) of CGST Act
Interest u/sec.50(1) of CGST ActInterest u/sec.50(1) of CGST Act
Interest u/sec.50(1) of CGST Act
 
406
406406
406
 
Kingdom of Saudi Arabia (KSA) Value Added Tax (VAT) Law (with Index)
Kingdom of Saudi Arabia (KSA) Value Added Tax (VAT) Law (with Index)Kingdom of Saudi Arabia (KSA) Value Added Tax (VAT) Law (with Index)
Kingdom of Saudi Arabia (KSA) Value Added Tax (VAT) Law (with Index)
 
Functionality on section 206ab and 206cca
Functionality on section 206ab and 206ccaFunctionality on section 206ab and 206cca
Functionality on section 206ab and 206cca
 
Reg 121647-10
Reg 121647-10Reg 121647-10
Reg 121647-10
 

Viewers also liked

DECLARACION DE TORONTO
DECLARACION DE TORONTODECLARACION DE TORONTO
DECLARACION DE TORONTOGHP
 
Transition to high-speed WORDPRESS using KUSANAGI
Transition to high-speed WORDPRESS using KUSANAGITransition to high-speed WORDPRESS using KUSANAGI
Transition to high-speed WORDPRESS using KUSANAGISumito Tsukada
 
Location Blackpool
Location   BlackpoolLocation   Blackpool
Location Blackpoolguest5c389ad
 
Décision - incertitude - intuition
Décision - incertitude - intuitionDécision - incertitude - intuition
Décision - incertitude - intuitionPhilippe Vallat
 
Alert 2017 duff co_nsolidating tools for outcomes
Alert 2017 duff co_nsolidating tools for outcomesAlert 2017 duff co_nsolidating tools for outcomes
Alert 2017 duff co_nsolidating tools for outcomesINSPIRE_Network
 

Viewers also liked (7)

DECLARACION DE TORONTO
DECLARACION DE TORONTODECLARACION DE TORONTO
DECLARACION DE TORONTO
 
Transition to high-speed WORDPRESS using KUSANAGI
Transition to high-speed WORDPRESS using KUSANAGITransition to high-speed WORDPRESS using KUSANAGI
Transition to high-speed WORDPRESS using KUSANAGI
 
Location Blackpool
Location   BlackpoolLocation   Blackpool
Location Blackpool
 
town
towntown
town
 
Décision - incertitude - intuition
Décision - incertitude - intuitionDécision - incertitude - intuition
Décision - incertitude - intuition
 
Alert 2017 duff co_nsolidating tools for outcomes
Alert 2017 duff co_nsolidating tools for outcomesAlert 2017 duff co_nsolidating tools for outcomes
Alert 2017 duff co_nsolidating tools for outcomes
 
Storyboard
StoryboardStoryboard
Storyboard
 

Similar to Revision of india singapore tax treaty

CBDT Representation - Comments on issues - India-Mauritius DTAA- PRB CAs
CBDT Representation - Comments on  issues - India-Mauritius DTAA- PRB CAsCBDT Representation - Comments on  issues - India-Mauritius DTAA- PRB CAs
CBDT Representation - Comments on issues - India-Mauritius DTAA- PRB CAsHarshal Bhuta
 
Tax Bulletin Draft Notification on POEM - Section 115JH of the Act
Tax Bulletin   Draft Notification on POEM - Section 115JH of the ActTax Bulletin   Draft Notification on POEM - Section 115JH of the Act
Tax Bulletin Draft Notification on POEM - Section 115JH of the ActVispi T. Patel
 
Amendment to India-Mautitius DTAA
Amendment to India-Mautitius DTAAAmendment to India-Mautitius DTAA
Amendment to India-Mautitius DTAACA. Utsav Shah
 
Government notifies India-Fiji DTAA
Government notifies India-Fiji DTAAGovernment notifies India-Fiji DTAA
Government notifies India-Fiji DTAAIntuit Consultancy
 
Tnvat recent changes - effective from 29.01.2016
Tnvat   recent changes - effective from 29.01.2016Tnvat   recent changes - effective from 29.01.2016
Tnvat recent changes - effective from 29.01.2016oswinfo
 
TransPrice Times 1st - 15th January 2017
TransPrice Times 1st - 15th January 2017TransPrice Times 1st - 15th January 2017
TransPrice Times 1st - 15th January 2017Akshay KENKRE
 
bosnia-si-hertegovina-engpdf-60e80012b418b.pdf
bosnia-si-hertegovina-engpdf-60e80012b418b.pdfbosnia-si-hertegovina-engpdf-60e80012b418b.pdf
bosnia-si-hertegovina-engpdf-60e80012b418b.pdfComatiCapillati
 
Analysis of Finance Act,2020 vis a-vis GST
Analysis of Finance Act,2020 vis a-vis GSTAnalysis of Finance Act,2020 vis a-vis GST
Analysis of Finance Act,2020 vis a-vis GSTAnandaday Misshra
 
Tamann's Income Tax Act
Tamann's Income Tax Act Tamann's Income Tax Act
Tamann's Income Tax Act Taxmann
 
Singapore India DTA Incorporating Protocol 2005
Singapore India DTA Incorporating Protocol 2005Singapore India DTA Incorporating Protocol 2005
Singapore India DTA Incorporating Protocol 2005Maverick Tan
 
Composition scheme under CGST Act,2017
Composition scheme under CGST Act,2017Composition scheme under CGST Act,2017
Composition scheme under CGST Act,2017CA. Nitish Joshi
 
Union Budget Bulletin VTPA 2017-2018
Union Budget Bulletin VTPA 2017-2018Union Budget Bulletin VTPA 2017-2018
Union Budget Bulletin VTPA 2017-2018Vispi T. Patel
 
Service tax registration in india by legal raasta
Service tax registration in india by legal raastaService tax registration in india by legal raasta
Service tax registration in india by legal raastaLegal Raasta
 
Direct Tax Amendments Applicable From 1st April 2017
Direct Tax Amendments Applicable From 1st April 2017Direct Tax Amendments Applicable From 1st April 2017
Direct Tax Amendments Applicable From 1st April 2017Amarpal Jakhar
 

Similar to Revision of india singapore tax treaty (20)

CBDT Representation - Comments on issues - India-Mauritius DTAA- PRB CAs
CBDT Representation - Comments on  issues - India-Mauritius DTAA- PRB CAsCBDT Representation - Comments on  issues - India-Mauritius DTAA- PRB CAs
CBDT Representation - Comments on issues - India-Mauritius DTAA- PRB CAs
 
Tax Bulletin Draft Notification on POEM - Section 115JH of the Act
Tax Bulletin   Draft Notification on POEM - Section 115JH of the ActTax Bulletin   Draft Notification on POEM - Section 115JH of the Act
Tax Bulletin Draft Notification on POEM - Section 115JH of the Act
 
Amendment to India-Mautitius DTAA
Amendment to India-Mautitius DTAAAmendment to India-Mautitius DTAA
Amendment to India-Mautitius DTAA
 
Government notifies India-Fiji DTAA
Government notifies India-Fiji DTAAGovernment notifies India-Fiji DTAA
Government notifies India-Fiji DTAA
 
Tnvat recent changes - effective from 29.01.2016
Tnvat   recent changes - effective from 29.01.2016Tnvat   recent changes - effective from 29.01.2016
Tnvat recent changes - effective from 29.01.2016
 
December 2016 newsletter
December 2016 newsletterDecember 2016 newsletter
December 2016 newsletter
 
Lq budget 2017
Lq   budget 2017 Lq   budget 2017
Lq budget 2017
 
Union Budget 2017
Union Budget 2017Union Budget 2017
Union Budget 2017
 
Union Budget 2017
Union Budget 2017Union Budget 2017
Union Budget 2017
 
TransPrice Times 1st - 15th January 2017
TransPrice Times 1st - 15th January 2017TransPrice Times 1st - 15th January 2017
TransPrice Times 1st - 15th January 2017
 
bosnia-si-hertegovina-engpdf-60e80012b418b.pdf
bosnia-si-hertegovina-engpdf-60e80012b418b.pdfbosnia-si-hertegovina-engpdf-60e80012b418b.pdf
bosnia-si-hertegovina-engpdf-60e80012b418b.pdf
 
Double Taxation Agreement between India and Bangladesh
Double Taxation Agreement between India and BangladeshDouble Taxation Agreement between India and Bangladesh
Double Taxation Agreement between India and Bangladesh
 
Singapura
SingapuraSingapura
Singapura
 
Analysis of Finance Act,2020 vis a-vis GST
Analysis of Finance Act,2020 vis a-vis GSTAnalysis of Finance Act,2020 vis a-vis GST
Analysis of Finance Act,2020 vis a-vis GST
 
Tamann's Income Tax Act
Tamann's Income Tax Act Tamann's Income Tax Act
Tamann's Income Tax Act
 
Singapore India DTA Incorporating Protocol 2005
Singapore India DTA Incorporating Protocol 2005Singapore India DTA Incorporating Protocol 2005
Singapore India DTA Incorporating Protocol 2005
 
Composition scheme under CGST Act,2017
Composition scheme under CGST Act,2017Composition scheme under CGST Act,2017
Composition scheme under CGST Act,2017
 
Union Budget Bulletin VTPA 2017-2018
Union Budget Bulletin VTPA 2017-2018Union Budget Bulletin VTPA 2017-2018
Union Budget Bulletin VTPA 2017-2018
 
Service tax registration in india by legal raasta
Service tax registration in india by legal raastaService tax registration in india by legal raasta
Service tax registration in india by legal raasta
 
Direct Tax Amendments Applicable From 1st April 2017
Direct Tax Amendments Applicable From 1st April 2017Direct Tax Amendments Applicable From 1st April 2017
Direct Tax Amendments Applicable From 1st April 2017
 

More from Karan Puri

India Signs the Multilateral Convention to Implement Tax Treaty Related Measu...
India Signs the Multilateral Convention to Implement Tax Treaty Related Measu...India Signs the Multilateral Convention to Implement Tax Treaty Related Measu...
India Signs the Multilateral Convention to Implement Tax Treaty Related Measu...Karan Puri
 
CBDT has notified cost inflation index (CII) for FY 2017-18 with new base yea...
CBDT has notified cost inflation index (CII) for FY 2017-18 with new base yea...CBDT has notified cost inflation index (CII) for FY 2017-18 with new base yea...
CBDT has notified cost inflation index (CII) for FY 2017-18 with new base yea...Karan Puri
 
Renewal of Registrations of NGO's
Renewal of Registrations of NGO'sRenewal of Registrations of NGO's
Renewal of Registrations of NGO'sKaran Puri
 
Finalized Draft of ITAT Rules 2017
Finalized Draft of ITAT Rules 2017Finalized Draft of ITAT Rules 2017
Finalized Draft of ITAT Rules 2017Karan Puri
 
CBDT releases draft rules
CBDT releases draft rulesCBDT releases draft rules
CBDT releases draft rulesKaran Puri
 
Draft Notification INCOME-TAX
Draft Notification INCOME-TAXDraft Notification INCOME-TAX
Draft Notification INCOME-TAXKaran Puri
 
Clarification on removal of Cyprus from the list of notified jurisdictional a...
Clarification on removal of Cyprus from the list of notified jurisdictional a...Clarification on removal of Cyprus from the list of notified jurisdictional a...
Clarification on removal of Cyprus from the list of notified jurisdictional a...Karan Puri
 
CBDT clarifies - lease rentals in industrial park/ SEZ to be treated as busin...
CBDT clarifies - lease rentals in industrial park/ SEZ to be treated as busin...CBDT clarifies - lease rentals in industrial park/ SEZ to be treated as busin...
CBDT clarifies - lease rentals in industrial park/ SEZ to be treated as busin...Karan Puri
 
GST Newsletter
GST NewsletterGST Newsletter
GST NewsletterKaran Puri
 
Budget 2017 takes Steps to discourage Cash transactions & curb Black Money
Budget 2017 takes Steps to discourage Cash transactions & curb Black MoneyBudget 2017 takes Steps to discourage Cash transactions & curb Black Money
Budget 2017 takes Steps to discourage Cash transactions & curb Black MoneyKaran Puri
 
CBDT Issues Dreaft Notification for Taxability on Non-stt-shares
CBDT Issues Dreaft Notification for Taxability on Non-stt-sharesCBDT Issues Dreaft Notification for Taxability on Non-stt-shares
CBDT Issues Dreaft Notification for Taxability on Non-stt-sharesKaran Puri
 
Gst list of changes
Gst list of changesGst list of changes
Gst list of changesKaran Puri
 
CBDT Circular no. 11 2017
CBDT Circular no. 11 2017CBDT Circular no. 11 2017
CBDT Circular no. 11 2017Karan Puri
 
DPNC News Flash
DPNC News FlashDPNC News Flash
DPNC News FlashKaran Puri
 
Finance bill 2017 amendments
Finance bill 2017 amendmentsFinance bill 2017 amendments
Finance bill 2017 amendmentsKaran Puri
 
CBDT Circular no 8 of 2017
CBDT Circular no 8 of 2017CBDT Circular no 8 of 2017
CBDT Circular no 8 of 2017Karan Puri
 
FEMA Second Amendment Regulations
FEMA Second Amendment RegulationsFEMA Second Amendment Regulations
FEMA Second Amendment RegulationsKaran Puri
 
Internal Audit News
Internal Audit NewsInternal Audit News
Internal Audit NewsKaran Puri
 

More from Karan Puri (20)

India Signs the Multilateral Convention to Implement Tax Treaty Related Measu...
India Signs the Multilateral Convention to Implement Tax Treaty Related Measu...India Signs the Multilateral Convention to Implement Tax Treaty Related Measu...
India Signs the Multilateral Convention to Implement Tax Treaty Related Measu...
 
CBDT has notified cost inflation index (CII) for FY 2017-18 with new base yea...
CBDT has notified cost inflation index (CII) for FY 2017-18 with new base yea...CBDT has notified cost inflation index (CII) for FY 2017-18 with new base yea...
CBDT has notified cost inflation index (CII) for FY 2017-18 with new base yea...
 
Renewal of Registrations of NGO's
Renewal of Registrations of NGO'sRenewal of Registrations of NGO's
Renewal of Registrations of NGO's
 
Finalized Draft of ITAT Rules 2017
Finalized Draft of ITAT Rules 2017Finalized Draft of ITAT Rules 2017
Finalized Draft of ITAT Rules 2017
 
CBDT releases draft rules
CBDT releases draft rulesCBDT releases draft rules
CBDT releases draft rules
 
Draft Notification INCOME-TAX
Draft Notification INCOME-TAXDraft Notification INCOME-TAX
Draft Notification INCOME-TAX
 
Clarification on removal of Cyprus from the list of notified jurisdictional a...
Clarification on removal of Cyprus from the list of notified jurisdictional a...Clarification on removal of Cyprus from the list of notified jurisdictional a...
Clarification on removal of Cyprus from the list of notified jurisdictional a...
 
CBDT clarifies - lease rentals in industrial park/ SEZ to be treated as busin...
CBDT clarifies - lease rentals in industrial park/ SEZ to be treated as busin...CBDT clarifies - lease rentals in industrial park/ SEZ to be treated as busin...
CBDT clarifies - lease rentals in industrial park/ SEZ to be treated as busin...
 
Guidance note
Guidance noteGuidance note
Guidance note
 
GST Newsletter
GST NewsletterGST Newsletter
GST Newsletter
 
Budget 2017 takes Steps to discourage Cash transactions & curb Black Money
Budget 2017 takes Steps to discourage Cash transactions & curb Black MoneyBudget 2017 takes Steps to discourage Cash transactions & curb Black Money
Budget 2017 takes Steps to discourage Cash transactions & curb Black Money
 
CBDT Issues Dreaft Notification for Taxability on Non-stt-shares
CBDT Issues Dreaft Notification for Taxability on Non-stt-sharesCBDT Issues Dreaft Notification for Taxability on Non-stt-shares
CBDT Issues Dreaft Notification for Taxability on Non-stt-shares
 
Gst list of changes
Gst list of changesGst list of changes
Gst list of changes
 
FAQ's on ICDS
FAQ's on ICDSFAQ's on ICDS
FAQ's on ICDS
 
CBDT Circular no. 11 2017
CBDT Circular no. 11 2017CBDT Circular no. 11 2017
CBDT Circular no. 11 2017
 
DPNC News Flash
DPNC News FlashDPNC News Flash
DPNC News Flash
 
Finance bill 2017 amendments
Finance bill 2017 amendmentsFinance bill 2017 amendments
Finance bill 2017 amendments
 
CBDT Circular no 8 of 2017
CBDT Circular no 8 of 2017CBDT Circular no 8 of 2017
CBDT Circular no 8 of 2017
 
FEMA Second Amendment Regulations
FEMA Second Amendment RegulationsFEMA Second Amendment Regulations
FEMA Second Amendment Regulations
 
Internal Audit News
Internal Audit NewsInternal Audit News
Internal Audit News
 

Recently uploaded

Instant Issue Debit Cards - High School Spirit
Instant Issue Debit Cards - High School SpiritInstant Issue Debit Cards - High School Spirit
Instant Issue Debit Cards - High School Spiritegoetzinger
 
02_Fabio Colombo_Accenture_MeetupDora&Cybersecurity.pptx
02_Fabio Colombo_Accenture_MeetupDora&Cybersecurity.pptx02_Fabio Colombo_Accenture_MeetupDora&Cybersecurity.pptx
02_Fabio Colombo_Accenture_MeetupDora&Cybersecurity.pptxFinTech Belgium
 
(DIYA) Bhumkar Chowk Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
(DIYA) Bhumkar Chowk Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...(DIYA) Bhumkar Chowk Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
(DIYA) Bhumkar Chowk Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...ranjana rawat
 
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
 
Stock Market Brief Deck for 4/24/24 .pdf
Stock Market Brief Deck for 4/24/24 .pdfStock Market Brief Deck for 4/24/24 .pdf
Stock Market Brief Deck for 4/24/24 .pdfMichael Silva
 
Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...
Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...
Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...ssifa0344
 
The Economic History of the U.S. Lecture 18.pdf
The Economic History of the U.S. Lecture 18.pdfThe Economic History of the U.S. Lecture 18.pdf
The Economic History of the U.S. Lecture 18.pdfGale Pooley
 
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
 
06_Joeri Van Speybroek_Dell_MeetupDora&Cybersecurity.pdf
06_Joeri Van Speybroek_Dell_MeetupDora&Cybersecurity.pdf06_Joeri Van Speybroek_Dell_MeetupDora&Cybersecurity.pdf
06_Joeri Van Speybroek_Dell_MeetupDora&Cybersecurity.pdfFinTech Belgium
 
Q3 2024 Earnings Conference Call and Webcast Slides
Q3 2024 Earnings Conference Call and Webcast SlidesQ3 2024 Earnings Conference Call and Webcast Slides
Q3 2024 Earnings Conference Call and Webcast SlidesMarketing847413
 
Best VIP Call Girls Noida Sector 18 Call Me: 8448380779
Best VIP Call Girls Noida Sector 18 Call Me: 8448380779Best VIP Call Girls Noida Sector 18 Call Me: 8448380779
Best VIP Call Girls Noida Sector 18 Call Me: 8448380779Delhi Call girls
 
Dharavi Russian callg Girls, { 09892124323 } || Call Girl In Mumbai ...
Dharavi Russian callg Girls, { 09892124323 } || Call Girl In Mumbai ...Dharavi Russian callg Girls, { 09892124323 } || Call Girl In Mumbai ...
Dharavi Russian callg Girls, { 09892124323 } || Call Girl In Mumbai ...Pooja Nehwal
 
Log your LOA pain with Pension Lab's brilliant campaign
Log your LOA pain with Pension Lab's brilliant campaignLog your LOA pain with Pension Lab's brilliant campaign
Log your LOA pain with Pension Lab's brilliant campaignHenry Tapper
 
The Economic History of the U.S. Lecture 17.pdf
The Economic History of the U.S. Lecture 17.pdfThe Economic History of the U.S. Lecture 17.pdf
The Economic History of the U.S. Lecture 17.pdfGale Pooley
 
(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...ranjana rawat
 
Dividend Policy and Dividend Decision Theories.pptx
Dividend Policy and Dividend Decision Theories.pptxDividend Policy and Dividend Decision Theories.pptx
Dividend Policy and Dividend Decision Theories.pptxanshikagoel52
 
Call US 📞 9892124323 ✅ Kurla Call Girls In Kurla ( Mumbai ) secure service
Call US 📞 9892124323 ✅ Kurla Call Girls In Kurla ( Mumbai ) secure serviceCall US 📞 9892124323 ✅ Kurla Call Girls In Kurla ( Mumbai ) secure service
Call US 📞 9892124323 ✅ Kurla Call Girls In Kurla ( Mumbai ) secure servicePooja Nehwal
 
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
 
Call Girls In Yusuf Sarai Women Seeking Men 9654467111
Call Girls In Yusuf Sarai Women Seeking Men 9654467111Call Girls In Yusuf Sarai Women Seeking Men 9654467111
Call Girls In Yusuf Sarai Women Seeking Men 9654467111Sapana Sha
 

Recently uploaded (20)

Instant Issue Debit Cards - High School Spirit
Instant Issue Debit Cards - High School SpiritInstant Issue Debit Cards - High School Spirit
Instant Issue Debit Cards - High School Spirit
 
02_Fabio Colombo_Accenture_MeetupDora&Cybersecurity.pptx
02_Fabio Colombo_Accenture_MeetupDora&Cybersecurity.pptx02_Fabio Colombo_Accenture_MeetupDora&Cybersecurity.pptx
02_Fabio Colombo_Accenture_MeetupDora&Cybersecurity.pptx
 
(DIYA) Bhumkar Chowk Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
(DIYA) Bhumkar Chowk Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...(DIYA) Bhumkar Chowk Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
(DIYA) Bhumkar Chowk Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
 
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
 
Stock Market Brief Deck for 4/24/24 .pdf
Stock Market Brief Deck for 4/24/24 .pdfStock Market Brief Deck for 4/24/24 .pdf
Stock Market Brief Deck for 4/24/24 .pdf
 
Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...
Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...
Solution Manual for Financial Accounting, 11th Edition by Robert Libby, Patri...
 
The Economic History of the U.S. Lecture 18.pdf
The Economic History of the U.S. Lecture 18.pdfThe Economic History of the U.S. Lecture 18.pdf
The Economic History of the U.S. Lecture 18.pdf
 
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
 
06_Joeri Van Speybroek_Dell_MeetupDora&Cybersecurity.pdf
06_Joeri Van Speybroek_Dell_MeetupDora&Cybersecurity.pdf06_Joeri Van Speybroek_Dell_MeetupDora&Cybersecurity.pdf
06_Joeri Van Speybroek_Dell_MeetupDora&Cybersecurity.pdf
 
Q3 2024 Earnings Conference Call and Webcast Slides
Q3 2024 Earnings Conference Call and Webcast SlidesQ3 2024 Earnings Conference Call and Webcast Slides
Q3 2024 Earnings Conference Call and Webcast Slides
 
Best VIP Call Girls Noida Sector 18 Call Me: 8448380779
Best VIP Call Girls Noida Sector 18 Call Me: 8448380779Best VIP Call Girls Noida Sector 18 Call Me: 8448380779
Best VIP Call Girls Noida Sector 18 Call Me: 8448380779
 
Dharavi Russian callg Girls, { 09892124323 } || Call Girl In Mumbai ...
Dharavi Russian callg Girls, { 09892124323 } || Call Girl In Mumbai ...Dharavi Russian callg Girls, { 09892124323 } || Call Girl In Mumbai ...
Dharavi Russian callg Girls, { 09892124323 } || Call Girl In Mumbai ...
 
Commercial Bank Economic Capsule - April 2024
Commercial Bank Economic Capsule - April 2024Commercial Bank Economic Capsule - April 2024
Commercial Bank Economic Capsule - April 2024
 
Log your LOA pain with Pension Lab's brilliant campaign
Log your LOA pain with Pension Lab's brilliant campaignLog your LOA pain with Pension Lab's brilliant campaign
Log your LOA pain with Pension Lab's brilliant campaign
 
The Economic History of the U.S. Lecture 17.pdf
The Economic History of the U.S. Lecture 17.pdfThe Economic History of the U.S. Lecture 17.pdf
The Economic History of the U.S. Lecture 17.pdf
 
(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
(ANIKA) Budhwar Peth Call Girls Just Call 7001035870 [ Cash on Delivery ] Pun...
 
Dividend Policy and Dividend Decision Theories.pptx
Dividend Policy and Dividend Decision Theories.pptxDividend Policy and Dividend Decision Theories.pptx
Dividend Policy and Dividend Decision Theories.pptx
 
Call US 📞 9892124323 ✅ Kurla Call Girls In Kurla ( Mumbai ) secure service
Call US 📞 9892124323 ✅ Kurla Call Girls In Kurla ( Mumbai ) secure serviceCall US 📞 9892124323 ✅ Kurla Call Girls In Kurla ( Mumbai ) secure service
Call US 📞 9892124323 ✅ Kurla Call Girls In Kurla ( Mumbai ) secure service
 
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
 
Call Girls In Yusuf Sarai Women Seeking Men 9654467111
Call Girls In Yusuf Sarai Women Seeking Men 9654467111Call Girls In Yusuf Sarai Women Seeking Men 9654467111
Call Girls In Yusuf Sarai Women Seeking Men 9654467111
 

Revision of india singapore tax treaty

  • 1. Dewan P. N. Chopra & Co. Revision of India – Singapore Tax Treaty India revised tax treaty with Singapore to provide capital gains taxation similar to revised India-Mauritius treaty. The amendment provides for source-based taxation of capital gains arising from shares acquired on or after 1st Apr 2017. Revised treaty provides that capital gains on investments made upto March 31, 2017 will be exempt subject to fulfilment of conditions in Limitation of Benefits (LOB) clause as per 2005 protocol; For the period of 2 years starting from April 1, 2017, capital gains will be taxed at the rate limited to 50% of the domestic tax rates and capital gains will be fully taxable in India from April 1, 2019. The changes are illustrated in the chart below. S.No. Saver In Investee Co. In Shares Acquired Shares Sold Tax Treatment in India 1 Singapore India Before 1st Apr. 2017 Any date Tax Exempt in India 2 Singapore India After 1st Apr. 2017 Before 1st Apr 2019 Taxable @50% of domestic tax rate 3 Singapore India After 1st Apr. 2017 After 1st Apr 2019 Taxable at full rate of tax The benefits of taxation given at S.No. 1 and 2 supra will not available to a resident shell or conduit company of a contracting state if its affairs were arranged with the primary purpose to take advantage of the benefits given at S.No. 1 and 2. For definition of shell and/or conduit company. Kindly refer to “Article 3” of the Third protocol amending the agreement. Copy of the third protocol amending the agreement is enclosed as below. The Third Protocol to the India - Singapore DTAA also inserts provisions to facilitate relieving of economic double taxation in transfer pricing cases; Government Press Release states that "This is a taxpayer friendly measure and is in line with India’s commitments under Base Erosion and Profit Shiftin (BEPS) Action Plan to meet the minimum standard of providing Mutual Agreement Procedure (MAP) access in transfer pricing cases"; Revised India - Singapore treaty also enables application of domestic law and measures concerning prevention of tax avoidance or tax evasion” Disclaimer: For details Please see relevant provisions of India – Singapore DTAA referred to above. This note in brief, is not substitute for the readers or any person’s independent evaluations and analysis.
  • 2. THIRD PROTOCOL AMENDING THE AGREEMENT BETWEEN THE GOVERNMENT OF THE REPUBLIC OF SINGAPORE AND THE GOVERNMENT OF THE REPUBLIC OF INDIA FOR THE AVOIDANCE OF DOUBLE TAXATION AND THE PREVENTION OF FISCAL EVASION WITH RESPECT TO TAXES ON INCOME NOTE This Protocol was signed on 30 December 2016. However, the Protocol is not yet ratified and therefore does not have the force of law. The Government of the Republic of Singapore and the Government of the Republic of India, Desiring to conclude a Third Protocol to amend the Agreement between the Government of the Republic of Singapore and the Government of the Republic of India for the Avoidance of Double Taxation and the Prevention of Fiscal Evasion with respect to Taxes on Income, signed at India on 24 January 1994, as amended by the Protocol signed at India on 29 June 2005 (hereinafter referred to as “the 2005 Protocol”) and by the Second Protocol signed at India on 24 June 2011 (the Agreement so amended hereinafter referred to as “the Agreement”), Have agreed as follows: ARTICLE 1 1. The existing paragraph of Article 9 - Associated Enterprises of the Agreement shall be numbered as paragraph 1; and 2. After the said paragraph 1, the following paragraph shall be inserted: “2. Where a Contracting State includes in the profits of an enterprise of that State – and taxes accordingly – profits on which an enterprise of the other Contracting State has been charged to tax in that other State and the profits so included are profits which would have accrued to the enterprise of the first-mentioned State if the conditions made between the two enterprises had been those which would have been made between independent enterprises, then that other State shall make an appropriate adjustment to the amount of the tax charged therein on those profits. In determining such adjustment, due regard shall be had to the other provisions of this Agreement and the competent authorities of the Contracting States shall if necessary consult each other.”
  • 3. ARTICLE 2 Article 13 - Capital Gains of the Agreement shall be amended, with effect from 1 April 2017: (i) by deleting paragraph 4; and (ii) by inserting the following paragraphs: “4A. Gains from the alienation of shares acquired before 1 April 2017 in a company which is a resident of a Contracting State shall be taxable only in the Contracting State in which the alienator is a resident. 4B. Gains from the alienation of shares acquired on or after 1 April 2017 in a company which is a resident of a Contracting State may be taxed in that State. 4C. However, the gains referred to in paragraph 4B of this Article which arise during the period beginning on 1 April 2017 and ending on 31 March 2019 may be taxed in the State of which the company whose shares are being alienated is a resident at a tax rate that shall not exceed 50% of the tax rate applicable on such gains in that State. 5. Gains from the alienation of any property other than that referred to in paragraphs 1, 2, 3, 4A and 4B of this Article shall be taxable only in the Contracting State of which the alienator is a resident.” ARTICLE 3 The Agreement is amended by adding after Article 24, the following Article, with effect from 1 April 2017: “ARTICLE 24A 1. A resident of a Contracting State shall not be entitled to the benefits of paragraph 4A or paragraph 4C of Article 13 of this Agreement if its affairs were arranged with the primary purpose to take advantage of the benefits in the said paragraph 4A or paragraph 4C of Article 13 of this Agreement, as the case may be. 2. A shell or conduit company that claims it is a resident of a Contracting State shall not be entitled to the benefits of paragraph 4A or paragraph 4C of Article 13 of this Agreement. A shell or conduit company is any legal entity falling within the definition of resident with negligible or nil business operations or with no real and continuous business activities carried out in that Contracting State. 3. A resident of a Contracting State is deemed to be a shell or conduit company if its annual expenditure on operations in that Contracting State is less than S$200,000 in Singapore or Indian Rs.5,000,000 in India, as the case may be: (a) in the case of paragraph 4A of Article 13 of this Agreement, for each of the 12- month periods in the immediately preceding period of 24 months from the date on which the gains arise;
  • 4. (b) in the case of paragraph 4C of Article 13 of this Agreement, for the immediately preceding period of 12 months from the date on which the gains arise. 4. A resident of a Contracting State is deemed not to be a shell or conduit company if: (a) it is listed on a recognised stock exchange of the Contracting State; or (b) its annual expenditure on operations in that Contracting State is equal to or more than S$200,000 in Singapore or Indian Rs.5,000,000 in India, as the case may be: (i) in the case of paragraph 4A of Article 13 of this Agreement, for each of the 12-month periods in the immediately preceding period of 24 months from the date on which the gains arise; (ii) in the case of paragraph 4C of Article 13 of this Agreement, for the immediately preceding period of 12 months from the date on which the gains arise. 5. For the purpose of paragraph 4(a) of this Article, a recognised stock exchange means: (a) in the case of Singapore, the securities market operated by the Singapore Exchange Limited, Singapore Exchange Securities Trading Limited and The Central Depository (Pte) Limited; and (b) in the case of India, a stock exchange recognised by the Securities and Exchange Board of India. Explanation: The cases of legal entities not having bona fide business activities shall be covered by paragraph 1 of this Article." ARTICLE 4 Articles 1, 3, 5 and 6 of the 2005 Protocol shall be deleted, with effect from 1 April 2017. ARTICLE 5 The Agreement is amended by adding after Article 28, the following Article: “ARTICLE 28A MISCELLANEOUS This Agreement shall not prevent a Contracting State from applying its domestic law and measures concerning the prevention of tax avoidance or tax evasion.“
  • 5. ARTICLE 6 Each of the Contracting States shall complete the procedures required by its law for the bringing into force of this Protocol and notify the other State about such completion of the procedures. This Protocol shall enter into force on the date of the later of these notifications. If this Protocol does not enter into force as at 31 March 2017 due to either of the aforesaid notifications remaining pending, this Protocol shall enter into force on 1 April 2017. ARTICLE 7 This Protocol, which shall form an integral part of the Agreement, shall remain in force as long as the Agreement remains in force and shall apply as long as the Agreement itself is applicable. IN WITNESS WHEREOF, the undersigned, duly authorised thereto by their respective Governments, have signed this Protocol. DONE in duplicate at New Delhi on this 30th day of December 2016, in the English and Hindi languages, both texts being equally authentic. In the case of divergence between the two texts, the English text shall be the operative one. FOR THE GOVERNMENT OF FOR THE GOVERNMENT OF THE REPUBLIC OF SINGAPORE THE REPUBLIC OF INDIA H.E. Lim Thuan Kuan Shri Sushil Chandra High Commissioner of the Republic of Chairman, Central Board of Direct Taxes Singapore to India