Table of Contents
1. Amendment
1.1 Law till 31 March 2023
Tax rate for royalty or FTS as per domestic tax law was 10% (plus applicable surcharge and cess) for cases for non- residents not having a PE in India
[effective tax rate of 10.92%*]
1.2 Finance Act, 2023 – Amendment w.e.f 1 April 2023
Tax rate on royalty and fees for technical services income for non-resident taxpayers (not having PE in India) has been increased from 10% to 20% (plus applicable surcharge and cess)
[effective tax rate of 21.84%*]
- A non-resident has an option to opt for tax rates under the domestic law, or treaty, whichever is more beneficial
- However, exemption from filing tax return for non-resident is available for specific income if tax is withheld as per rates under the domestic act
2. Tax treaties
Tax rates on royalty / FTS under tax treaty
3. Implications
Obtaining tax rate for royalty and FTS under tax treaties
- Documentation requirement:
- Tax residency certificate
- Electronic Form 10F
- No PE declaration
- Tax registrations:
- Obtaining Permanent Account Number (PAN)
- Registration on the online portal
- Digital Signature certificate
- Compliance requirement:
- Furnishing return of income
- Transfer Pricing compliance – TP report/documentation
- Treaty eligibility:
- Evaluate eligibility such as beneficial ownership, substance requirement
- Tax certainty:
- Whether advisable to apply for an advance ruling before entering into such a
transaction, especially for treaties with MFN clause?
- Whether advisable to apply for an advance ruling before entering into such a
- Tax credit in home country:
- If voluntary payment of tax is done at 21.84% – evaluating whether tax credit will be available in home/resident country
- Tax cost through grossing up:
- Higher tax cost if the tax cost is to be borne by Indian Companies through gross up arrangements
* Assuming highest rate of surcharge