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By Harshit Bansal at www.slideshare.net
Corporate Structure
   Hutchison Essar Ltd (HEL)
       Indian Company
       Providing Telecom Services
   Hutchison Telecom International Ltd (HTIL)
       Foreign Company (Situated at Hong Kong)
       Holding 100% shares in CGP Investments Holdings Ltd
   CGP Investments Holdings Ltd (CGP)
       Foreign Company (Situated at Cayman Island, Mauritius)
       Holding 67% share in HEL
       Dummy Company only formed to have benefit of Mauritius
        Route, as it’s a Tax Heaven means no tax on any transaction



                        By Harshit Bansal at www.slideshare.net
Diagrammatic View
                                                                     CGP
                                                                 Investments
 Hutchison Telecom                                                 Holdings
  International Ltd.                                                 Ltd.
    (Hong Kong)                                                   (Mauritius)
                                                                  Holding 67%
                                                                  share in HEL



                                                                  Hutchison
                                                                  Essar Ltd.
                                                                   (Indian
                                                                  Company)



                       By Harshit Bansal at www.slideshare.net
Facts of the Case
   Hutchison Telecom International Ltd. (HTIL) had
    transferred 100% shares of CGP investments for Rs. 560
    billion to Vodafone International Holdings BV

   Indirect transfer of rights in HEL, by HTIL to Vodafone
    International Holdings BV

   Vodafone International Holdings BV
       Foreign Company (Situated at Netherlands)
       Subsidiary of Vodafone Group plc (Situated at London)




                         By Harshit Bansal at www.slideshare.net
Understanding of Facts of the Case
Diagrammatically

   Vodafone                                     HTIL (Hong Kong)
   Group plc                                    100% Holding in
   (London)                                     CGP(Mauritius)



                                             CGP Investments
Vodafone                                     (Mauritius) 67% Holding in
International                                Hutchison Essar
Holdings BV                                  Ltd.(India)
(Netherlands)

                     Vodafone                      Hutchison
                     Essar Ltd.                    Essar Ltd
                     (Indian Co.)                  (Indian Co.)
                                        Turned
                                        to
                By Harshit Bansal at www.slideshare.net
Assessing Officer’s Appeal
   Transfer of rights in HEL(India) via CGP Investment
    Holdings Ltd.
   CGP Investment Holdings Ltd. is merely created to
    take benefits of Tax Heavens in Cayman Island,
    Mauritius
   As Capital gains arise on transfer of shares are
    exempt in Mauritius
   But if we consider a concept of Substance over
    Form, which clearly depicts that substance of a
    transaction is to transfer the rights in HEL(India)


                   By Harshit Bansal at www.slideshare.net
Diagrammatic Understanding
                                                  HTIL (Hong
                                                  Kong) 100%
   Vodafone                                       Holding in
   Group plc                                      CGP(Mauritius)
   (London)


                                               CGP Investments
                                               (Mauritius) 67% Holding
                                               in Hutchison Essar
Vodafone                                       Ltd.(India)
International
Holdings BV
(Netherlands)
                             Vodafone               Hutchison
                             Essar Ltd.             Essar Ltd
                             (Indian Co.)           (Indian Co.)
                                            Turned to

       (Transferred the controlling interest of HTIL in HEL to
       Vodafone)
Bombay High Court Decision
   It was held that appeal done by CIT is up to the mark
    because of the following reasons:

       As the purpose of entering into agreement is to acquire
        the controlling interest, which HTIL(Foreign Co.) had in
        HEL(Indian Co.) and as acquired(controlling interest by
        Vodafone International

       Income Tax Reference: Income shall be deemed to be
        accrued or arise in India U/s 9(1)(i)




                       By Harshit Bansal at www.slideshare.net
Assessee’s Explanation
   If today you buy 10% of the shares of a particular
    company, let us say Jet Airways, does this mean that you
    automatically own 10% of all of Jet Airways’ assets?
   Does this mean that 10% of the entire fleet of aircraft now
    belongs to you? By buying out a company that holds 67%
    of HEL, it doesn’t mean that Vodafone now owns 67% of
    the assets of HEL.
   Those assets continue to belong to HEL, which is a
    separate legal entity based in India. Read the Company
    law, Dam nit.




                     By Harshit Bansal at www.slideshare.net
Assessee’s Defend Diagrammatically
Explained

   Vodafone
   International
   Holdings BV
   (Netherlands) 100%
   Holding in CGP
                                                                  Vodafone’s Defend
                                                                      By becoming
                                                                  holding co. of CGP,
                                                                   it doesn’t means
 CGP Investments                                                    that I(Vodafone)
 (Mauritius) 67% Holding                                            holds 67% of all
 in Hutchison Essar                                                     assets in
 Ltd.(India)                                                       HEL(Indian Co.)



     Hutchison
     Essar Ltd.
     (Indian Co.)       By Harshit Bansal at www.slideshare.net
Supreme Court Decision
   Vodafone filed a review petition in supreme Court in
    January, 2012.
   Supreme Court reversed the decision of Bombay High
    court because:
       Assessing officer had no jurisdiction to tax the foreign transaction,
        as sale of shares in Cayman Island
       Transfer of shares in CGP doesn’t amount to transfer of Capital
        asset situated in India, as per section 9(1)(i) under the 4th Limb
       Bombay High Court Judgement held that transfer of controlling
        interest, which is not an identifiable or distinct capital asset,
        independent of holding of shares and also not covers in Definition
        of Capital Assets U/s 2(14)
       As Capital Asset is not taxable in India ,so there is no question of
        Deducting Tax at Source U/s 195(1)

                          By Harshit Bansal at www.slideshare.net
Supreme Court’s Decision


      These are the important three points on the basis of which
      Supreme Court has given the decision in Favor of the
      Vodafone:


Section: 9(1)(i)          Section: 2(14)                     Section: 195(1)
• Transfer of Shares      • As per Bom. H.C.                 • As capital asset not
• Not amounts to            controlling interest               taxable in India,
  transfer of             • Which not covered                • No question Tax
• Capital Asset             under definition of                Deducted at Source
  situated in India         Capital Asset                    • U/s 195(1)
                          • U/s 2(14)


                       By Harshit Bansal at www.slideshare.net
Transaction & its Consequences
                               Transactions &
Previous Scenario              Consequences           Current Scenario
  HTIL (Hong              •Transfer of shares of        Vodafone
                          CGP, from HTIL to
  Kong) 100%              Vodafone.
                                                        International
  Holding in              •For Consideration of         Holdings BV
  CGP(Mauritius)          Rs. 560 billion.              (Netherlands) 100%
                          •Which leads to Capital       Holding in CGP
                          Gain Tax on HTIL for Rs.
                          125 billion
CGP Investments           •The shares of this
                          company(CGP) are sold       CGP Investments
(Mauritius) 67% Holding
                          in Mauritius, which is a    (Mauritius) 67% Holding
in Hutchison Essar
                          tax heaven.                 in Hutchison Essar
Ltd.(India)
                                                      Ltd.(India)
                          •After the change of
                          holding co.
                          •Name changed to
    Hutchison             Vodafone.
                          •This depicts that shares       Vodafone
    Essar Ltd                                             Essar Ltd.
                          transferred to gain the
    (Indian Co.)          rights in HEL(Indian Co.)       (Indian Co.)
Retrospective Amendments
                         (Done by Finance Act 2012)
Sections            Amendment Done                          Co relate with Case
Amended
•Section 9(1)(i):   •All incomes accrued or arise,          •Explanation on “capital
Income Deemed       whether directly or indirectly:         assets”        provides that:
to Accrued or               through transfer of a               shares of CGP
Arise in India             “capital asset” situated in           Investments
                           India.                                (Registered Outside
                    •Explanation for Capital Assets:             India),
                    Any Entity( Whether registered              but value of shares
                    Outside India) deemed to be situated         are derived from the
                    in India,                                    value of asset located
                    if the share of that Entity derived         in India.
                    from the value of asset located in
                    India.

•Section 2(14):     Explanation added regarding               •Hutchison Hong Kong
Definition of       meaning of property:                      having rights in Indian Co.
Capital Assets      •“property” includes:                     •Examples: Right to
                    •Any rights in an Indian company          appoint directors, Right to
                    •Any rights Harshit Bansal anwww.slideshare.net hutch brand etc.
                            By
                                in relation to at Indian      use
                    Co.
Retrospective Amendments
                            (by Finance Act 2012)

•Section         Explanation Added regarding               Hutchison Hong Kong
2(47):           meaning of Transfer:                      transferred Rights in
Definition of    •“transfer” includes:                     Indian Co.(CGP) to
Transfer         •Creation of any interest in any          Vodafone
                 asset in any manner whether               •Created interest of
                 indirectly or otherwise                   Vodafone in an Indian
                 •by way of an agreement(whether           Co. by Indirect means
                 entered inside or outside India)          •by way of an agreement
                 or otherwise                              entered outside India
                 •through Transfer of shares               •through transfer of
                 Outside India                             shares in Cayman
                 •Which effects the transfer of            Island, Mauritius
                 rights in an Indian Company               •Which effects the
                                                           transfer of rights from
                                                           HTIL to Vodafone

                         By Harshit Bansal at www.slideshare.net
Supreme Court V/s Amendments

Supreme Court Judgments               Nullified by the Amendments (by FA
                                      2012)
Section: 9(1)(i)                      Explanation for Capital Assets U/s 9(1)(i):
    Transfer of Shares               Any Entity( Whether registered Outside
    Not amounts to transfer of       India) deemed to be situated in India,
    Capital Asset situated in        if the share of that Entity derived from the
    India                             value of asset(HEL) located in India.

Section: 2(14)                    Explanation added regarding meaning of
    As per Bom. H.C. controlling property:
    interest of HTIL in HEL           “property” includes:
    Which not covered under          Any rights in an Indian company
    definition of Capital Asset       Any rights in relation to an Indian Co.
    U/s 2(14)                        Rights includes Rights in
                                      Management, Controlling interests
                                      etc.
                        By Harshit Bansal at www.slideshare.net
Supreme Court V/s Amendments


Section: 195(1)                   Section: 195(1) for the removal of doubts to
   As capital asset not          clarify that obligation to deduct tax at source
                                  shall be deemed to have always extended
   taxable in India,
                                  to all persons, whether resident or non-
   No question to deduct
                                  resident has:-
   Tax at Source                  a residence or place of business or
   U/s 195(1)                    business connection in India; or
                                  any other presence in any manner
                                  whatsoever in India.




                   By Harshit Bansal at www.slideshare.net

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Hutchison vodafone tax case too much knowledgeable

  • 1. By Harshit Bansal at www.slideshare.net
  • 2. Corporate Structure  Hutchison Essar Ltd (HEL)  Indian Company  Providing Telecom Services  Hutchison Telecom International Ltd (HTIL)  Foreign Company (Situated at Hong Kong)  Holding 100% shares in CGP Investments Holdings Ltd  CGP Investments Holdings Ltd (CGP)  Foreign Company (Situated at Cayman Island, Mauritius)  Holding 67% share in HEL  Dummy Company only formed to have benefit of Mauritius Route, as it’s a Tax Heaven means no tax on any transaction By Harshit Bansal at www.slideshare.net
  • 3. Diagrammatic View CGP Investments Hutchison Telecom Holdings International Ltd. Ltd. (Hong Kong) (Mauritius) Holding 67% share in HEL Hutchison Essar Ltd. (Indian Company) By Harshit Bansal at www.slideshare.net
  • 4. Facts of the Case  Hutchison Telecom International Ltd. (HTIL) had transferred 100% shares of CGP investments for Rs. 560 billion to Vodafone International Holdings BV  Indirect transfer of rights in HEL, by HTIL to Vodafone International Holdings BV  Vodafone International Holdings BV  Foreign Company (Situated at Netherlands)  Subsidiary of Vodafone Group plc (Situated at London) By Harshit Bansal at www.slideshare.net
  • 5. Understanding of Facts of the Case Diagrammatically Vodafone HTIL (Hong Kong) Group plc 100% Holding in (London) CGP(Mauritius) CGP Investments Vodafone (Mauritius) 67% Holding in International Hutchison Essar Holdings BV Ltd.(India) (Netherlands) Vodafone Hutchison Essar Ltd. Essar Ltd (Indian Co.) (Indian Co.) Turned to By Harshit Bansal at www.slideshare.net
  • 6. Assessing Officer’s Appeal  Transfer of rights in HEL(India) via CGP Investment Holdings Ltd.  CGP Investment Holdings Ltd. is merely created to take benefits of Tax Heavens in Cayman Island, Mauritius  As Capital gains arise on transfer of shares are exempt in Mauritius  But if we consider a concept of Substance over Form, which clearly depicts that substance of a transaction is to transfer the rights in HEL(India) By Harshit Bansal at www.slideshare.net
  • 7. Diagrammatic Understanding HTIL (Hong Kong) 100% Vodafone Holding in Group plc CGP(Mauritius) (London) CGP Investments (Mauritius) 67% Holding in Hutchison Essar Vodafone Ltd.(India) International Holdings BV (Netherlands) Vodafone Hutchison Essar Ltd. Essar Ltd (Indian Co.) (Indian Co.) Turned to (Transferred the controlling interest of HTIL in HEL to Vodafone)
  • 8. Bombay High Court Decision  It was held that appeal done by CIT is up to the mark because of the following reasons:  As the purpose of entering into agreement is to acquire the controlling interest, which HTIL(Foreign Co.) had in HEL(Indian Co.) and as acquired(controlling interest by Vodafone International  Income Tax Reference: Income shall be deemed to be accrued or arise in India U/s 9(1)(i) By Harshit Bansal at www.slideshare.net
  • 9. Assessee’s Explanation  If today you buy 10% of the shares of a particular company, let us say Jet Airways, does this mean that you automatically own 10% of all of Jet Airways’ assets?  Does this mean that 10% of the entire fleet of aircraft now belongs to you? By buying out a company that holds 67% of HEL, it doesn’t mean that Vodafone now owns 67% of the assets of HEL.  Those assets continue to belong to HEL, which is a separate legal entity based in India. Read the Company law, Dam nit. By Harshit Bansal at www.slideshare.net
  • 10. Assessee’s Defend Diagrammatically Explained Vodafone International Holdings BV (Netherlands) 100% Holding in CGP Vodafone’s Defend By becoming holding co. of CGP, it doesn’t means CGP Investments that I(Vodafone) (Mauritius) 67% Holding holds 67% of all in Hutchison Essar assets in Ltd.(India) HEL(Indian Co.) Hutchison Essar Ltd. (Indian Co.) By Harshit Bansal at www.slideshare.net
  • 11. Supreme Court Decision  Vodafone filed a review petition in supreme Court in January, 2012.  Supreme Court reversed the decision of Bombay High court because:  Assessing officer had no jurisdiction to tax the foreign transaction, as sale of shares in Cayman Island  Transfer of shares in CGP doesn’t amount to transfer of Capital asset situated in India, as per section 9(1)(i) under the 4th Limb  Bombay High Court Judgement held that transfer of controlling interest, which is not an identifiable or distinct capital asset, independent of holding of shares and also not covers in Definition of Capital Assets U/s 2(14)  As Capital Asset is not taxable in India ,so there is no question of Deducting Tax at Source U/s 195(1) By Harshit Bansal at www.slideshare.net
  • 12. Supreme Court’s Decision These are the important three points on the basis of which Supreme Court has given the decision in Favor of the Vodafone: Section: 9(1)(i) Section: 2(14) Section: 195(1) • Transfer of Shares • As per Bom. H.C. • As capital asset not • Not amounts to controlling interest taxable in India, transfer of • Which not covered • No question Tax • Capital Asset under definition of Deducted at Source situated in India Capital Asset • U/s 195(1) • U/s 2(14) By Harshit Bansal at www.slideshare.net
  • 13. Transaction & its Consequences Transactions & Previous Scenario Consequences Current Scenario HTIL (Hong •Transfer of shares of Vodafone CGP, from HTIL to Kong) 100% Vodafone. International Holding in •For Consideration of Holdings BV CGP(Mauritius) Rs. 560 billion. (Netherlands) 100% •Which leads to Capital Holding in CGP Gain Tax on HTIL for Rs. 125 billion CGP Investments •The shares of this company(CGP) are sold CGP Investments (Mauritius) 67% Holding in Mauritius, which is a (Mauritius) 67% Holding in Hutchison Essar tax heaven. in Hutchison Essar Ltd.(India) Ltd.(India) •After the change of holding co. •Name changed to Hutchison Vodafone. •This depicts that shares Vodafone Essar Ltd Essar Ltd. transferred to gain the (Indian Co.) rights in HEL(Indian Co.) (Indian Co.)
  • 14. Retrospective Amendments (Done by Finance Act 2012) Sections Amendment Done Co relate with Case Amended •Section 9(1)(i): •All incomes accrued or arise, •Explanation on “capital Income Deemed whether directly or indirectly: assets” provides that: to Accrued or  through transfer of a shares of CGP Arise in India “capital asset” situated in Investments India. (Registered Outside •Explanation for Capital Assets: India), Any Entity( Whether registered but value of shares Outside India) deemed to be situated are derived from the in India, value of asset located if the share of that Entity derived in India. from the value of asset located in India. •Section 2(14): Explanation added regarding •Hutchison Hong Kong Definition of meaning of property: having rights in Indian Co. Capital Assets •“property” includes: •Examples: Right to •Any rights in an Indian company appoint directors, Right to •Any rights Harshit Bansal anwww.slideshare.net hutch brand etc. By in relation to at Indian use Co.
  • 15. Retrospective Amendments (by Finance Act 2012) •Section Explanation Added regarding Hutchison Hong Kong 2(47): meaning of Transfer: transferred Rights in Definition of •“transfer” includes: Indian Co.(CGP) to Transfer •Creation of any interest in any Vodafone asset in any manner whether •Created interest of indirectly or otherwise Vodafone in an Indian •by way of an agreement(whether Co. by Indirect means entered inside or outside India) •by way of an agreement or otherwise entered outside India •through Transfer of shares •through transfer of Outside India shares in Cayman •Which effects the transfer of Island, Mauritius rights in an Indian Company •Which effects the transfer of rights from HTIL to Vodafone By Harshit Bansal at www.slideshare.net
  • 16. Supreme Court V/s Amendments Supreme Court Judgments Nullified by the Amendments (by FA 2012) Section: 9(1)(i) Explanation for Capital Assets U/s 9(1)(i): Transfer of Shares Any Entity( Whether registered Outside Not amounts to transfer of India) deemed to be situated in India, Capital Asset situated in if the share of that Entity derived from the India value of asset(HEL) located in India. Section: 2(14) Explanation added regarding meaning of As per Bom. H.C. controlling property: interest of HTIL in HEL “property” includes: Which not covered under Any rights in an Indian company definition of Capital Asset Any rights in relation to an Indian Co. U/s 2(14) Rights includes Rights in Management, Controlling interests etc. By Harshit Bansal at www.slideshare.net
  • 17. Supreme Court V/s Amendments Section: 195(1) Section: 195(1) for the removal of doubts to As capital asset not clarify that obligation to deduct tax at source shall be deemed to have always extended taxable in India, to all persons, whether resident or non- No question to deduct resident has:- Tax at Source a residence or place of business or U/s 195(1) business connection in India; or any other presence in any manner whatsoever in India. By Harshit Bansal at www.slideshare.net