Dept plans to widen deemed dividend tax ambit.

The Income Tax (I-T) Department has decided to put an end to the contentious
issue of taxation of deemed dividend or inter-company loans given to common
shareholders of unrelated companies. The department proposes to amend the
I-T Act in this regard.
Inter-company loans, known as ‘deemed dividends’, are used by companies to
route dividend in the form of loans to companies which have common
shareholders — both in the company giving the loan and the one borrowing it.
It is done to avoid paying dividend tax, otherwise paid by the company
before it is distributed among shareholders by the I-T rule.

While shareholders of the companies get to use the funds out of the
dividend, the amount goes out of the tax ambit. Sources said the company
receiving the funds argues, that being a single entity, it is not a
shareholder in the company giving the loan. Thus, the loan cannot be termed
deemed dividend.

The trigger has been the investigations carried out by the I-T department,
which found there were many such cases where companies had been set up by
common shareholders, just to route dividend as inter-company loans, said
sources.

The I-T department has proposed an amendment to the tax law for allowing
taxation of the shareholders of the borrowing company, and not the company
itself, since they are the ultimate beneficiary of the proceeds. The
amendment has been proposed to incorporate loans given to unrelated
companies, but with common shareholders, under Section 10(20) of the
Income-Tax Act. It allows taxation of deemed dividend, but only if loans are
given to related companies or sister concerns of the dividend distributing
company.

Officials said the amendment is required to overrule a recent judgment of
the appellate tribunal, which ruled that deemed dividend should be taxed in
the hands of the borrowing company and not the shareholders since the
company is receiving the loan. This, the I-T department views as ‘deemed
dividend’. The ruling was given in the case of Interventional Technologies,
a life-saving medical device making company.

The I-T department, on the other hand, is of the view that the company
giving the loan is basically investing its surplus or profit, which
otherwise would have been distributed as dividend. Therefore, the
shareholders of the borrowing company should be taxed since they are the
users of the loans in the end.

Officials further added that irrespective of whether or not the amendment
comes through, the I-T department has decided to conduct assessment of all
such incomes where the point of taxation is contentious like deemed
dividend.

Under this, in case of deemed dividend, tax assessment would be made not
only for the companies, but also for the shareholders.

Experts said that by the principles of taxation, assessments for both are
done so as to tax an income when the view of the department differs from
that of the appellate authority or the assessee. The difference of view may
be on whose hands the income would be taxed or for which year it would be
taxed, or about the status of the assessee.

Thus, the assessing officer would charge the income in the hands of two
different entities (in this case, the company as well as the shareholders).
Or, it could tax the same entities or persons for two different years. It
could also make assessments according to the returns filed by the
shareholders and another as per the status which the department deems fit.

Once one assessment is final, the other gets nullified, said the official.
Thus the income would get taxed one way or the other.




-- 
Me on net :
> >>>>>>>>>>>>>>>>>>>>>
http://rajkumaratthenet.blogspot.com/

Virus Warning: Although the I have taken reasonable precautions to ensure no
viruses are present in his email, sender (I) cannot accept responsibility
for any loss or damage arising from the use of this email or attachment."
--
You received this message because you are subscribed to the Google Groups "Skorydov MyTaxAssistant Member Group" group.
To post to this group, send email to [email protected].
To unsubscribe from this group, send email to [email protected].
For more options, visit this group at http://groups.google.com/group/skorydovmytaxassistant?hl=en.

Reply via email to