News desk on Income Tax, GST & Corporate Laws-30 July 2020

Income tax MOF Notification dated 29 July 2020 *CBDT further extends due date for filing of ITR for AY 2019-20 till 30-09-2020*

Income tax Ahmedabad – ITAT *Losses already set off against profit other business not to be reduced notionally while computing profit u/s 80-IA

* Income tax Madras HC *Notice issued to authorised representative of assessee is deemed as notice issued to assessee*

Income tax MOF Notification dated 28 July 2020 *CBDT amends Forms for furnishing statement of income paid/credited by investment fund to its unit holder*

Income tax Kolkata – Trib. *An omitted provision is to be treated as never existed in law; ITAT quashed revisional proceedings*

International Taxation “THE MULTILATERAL CONVENTION TO IMPLEMENT TAX TREATY RELATED MEASURES TO PREVENT BASE EROSION AND PROFIT SHIFTING (MLI)” *CBDT releases MLI synthesised text for India- Czechia Republic & India-Rusia tax treaties

FEMA https://flair.rbi.org.in/fla/ The site is facing technical difficulties.The due date for submission of FLA for the year 2019-20 is extended to August 14, 2020.

GST AAR – ANDHRA PRADESH *Supply of printed flex material is supply of goods, classified under heading 4911, attracts 12% GST

GST AAR – ANDHRA PRADESH *HSD Oil received from recipient for free for equipments/vehicles used for mining, forms part of value of mining*

GST AAR – ANDHRA PRADESH *Vessel charter hire charges are classified under heading 9966, taxed @ 5% GST: AP AAR*

Company Law Kerala HC *Petitioner to approach RoC for activation of DIN and DSC for filing of STK-2 to enable strike off of name of Co.*

SEBI SEBI CIRCULAR 29th July 2020 *Timelines for compliance with regulatory requirements by Trading members and RTAs extended:

SEBI* SEBI SEBI CIRCULAR 29th July 2020 *SEBI extends timeline for submission of financial results to September 15, 2020*

SEBI SEBI CIRCULAR 29th July 2020 *Mechanism with regard to Margin obligations by of pledge to be implemented from August 01, 2020*

IBC NCLT – New Delhi *Amount claimed to be transferred to corporate debtor couldn’t be termed as ‘financial debt’ without any evidence*

IBC NCLT- Chennai *Liquidator rightly rejected claim of operational creditor as it was not crystallised in an agreement between parties*

IBC NCL-AT *Resolution can be taken even during CIRP if any promoter agrees to invest money for keeping Co. as a going concern*

IBC NCLT – Ahd. *CIRP plea admitted as documents produced by operational creditor clearly established debt and default*

IBC IBBI *CPIO-IBBI wasn’t under obligation to express any opinion or provide info. already available in public domain*

IBC NCLT – Ahd. *Co. was to be dissolved when shareholders agreed to close down due to non-availability of business prospects*

IBC Delhi HC *Non-IPE firms appointed as RP by CoC was permitted to continue assignment till next date of hearing* Others GOI Press Release 29 July 2020 “*Cabinet Approves National Education Policy 2020, paving way for transformational reforms in school and higher education systems in the country*

*Model Tax Conventions Series* *KP 6 (21-07-2020)* Chapter III: Taxation of Income *Business profits* (Article 7)

*Business profits* (Article 7)   *OECD MC/ UN MC* :   BPs of an Enterprise can only be taxed by the *Residence State (RS)*. Right of Source State (SS) to tax BPs of an enterprise only exists if a PE exists in its jurisdiction
In *OECD MC*-Once a PE is proven the SS can tax only such profits as are attributable to the PE
In *UN MC*-     The attribution principle is amplified by a limited *FORCE OF ATTRACTION RULE (FOA)*
The FOA rule implies that when a foreign enterprise sets up a PE in SS, it brings itself within the fiscal jurisdiction of that State to such a degree that profits that the Enterprise derives therefrom, whether through the PE or not can be taxed by it (i.e., the SS)
Accordingly, if the Enterprise carries on business in the other CS through a PE, the profits of the Enterprise may be taxed in the other CS but only so much of them as is attributable to: That PE;Sales in other CS of goods or merchandise of the same or similar kind as those sold through that PE; orOther business activities carried on in that other State of the same or similar kind as those effected through that PE   Series continue……   For daily updates, you may join:

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FEMA-An Act Overview Series 1

*FEMA*-*An Act Overview* Series

*Background*

  • Foreign exchange control – Exchange control law through Defense of India rules by the Britishers in 1939.
  • Foreign Exchange Regulation Act (FERA) was enacted in 1947
  • ‘The Foreign Exchange Regulation Act, 1973’ (FERA) Replaced Foreign Exchange Regulation Act, 1947 (FERA)
  • Foreign Exchange Management Act, 1999 w.e.f. 01st June 2000 (FEMA), (repealed FERA 1973). 

*Salient Features of FEMA*

  • *Regulation of transactions* BETWEEN *residents and non-residents*
  • *Investments in India by non-residents*
  •  *Overseas investments by Indian residents*
  •  *Freely permissible transactions on current account* subject to reasonable restrictions that may be imposed
  • *RBI control over capital account transactions*
  • Requirement for *realisation of export proceeds and repatriation to India*
  • *Dealing in foreign exchange through ‘Authorised Persons’* (Authorised Dealer/Money Changer/Off-shore banking unit )
  • *Adjudication and Compounding of Offences*
  • *Investigation of offences by Directorate of Enforcement*
  • *Appeal provisions* including Special Director (Appeals) and Appellate Tribunal.

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*International taxation* *Model Tax Conventions Series* *KP 5 (11-07-2020)* Permanent Establishment

*Model Tax Conventions Series*

*KP 5 (11-07-2020)*

#  *Chapter II: Definitions –Permanent Establishment*

*Meaning of PE [Article 5(1)]*

  • There should be an *enterprise*
  • Such enterprise should be carrying on a “business”;
  • There should be a “place of business (POB)”
  • Such POB should be at the *disposal of the enterprise* (may be owned/rented but must be one which the enterprise has the effective power to use);
  • The POB should be *fixed*, i.e. it must be established at a distinct place with a certain *degree of performance*
  • The business of the enterprise is carried on wholly or partially through this fixed POB

*A PE does not exist unless all the aforesaid conditions are satisfied.*

*Specific inclusions in the meaning of PE [Article 5(2)]

  • A branch
  • A place of management
  • An office
  • A Factory
  • A workshop
  • A mine, oil/gas well, quarry etc.

*Expansion of scope of Agency PE*

  • Agency PE targets activities done by a dependent agent (DA) of the enterprises in the Source State (SS)
  • DAPE now includes when an agent habitually concludes contracts or habitually plays the principal role leading to the conclusion of contracts routinely concluded without material modification by the enterprise.

*PE of an Insurance Enterprise*

UN MC

-UN MC has an additional Article 5(6) relating to insurance. An insurance Enterprise of a CS is deemed to have a PE in the other CS if it collects premiums in the territory of that other CS or insures risks situated therein through a person

OECD MC

In the absence of similar Article in the OECD MC, a PE of an insurance Enterprise is to be determined in accord with Article 5(1) or 5(2)

Series continue……

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# *FA 2020 Modification of concessional tax schemes for domestic companies u/s 115BAA(Tax on income of certain domestic companies-22%.) and u/s 115BAB(Tax on income of new manufacturing domestic companies-15%) to allow deductions U/s 80JJAA (Deduction in respect of employment of new employees) w.e.f. 01st April 2020 or section 80M (Deduction in respect of certain inter-corporate dividends) w.e.f. 01st April 2021.*

*Financial awareness* Finance Quiz -Do You Know the Basics?

This 10-question quiz will give you a sense of the fundamentals you should learn to become a more effective manager/financial planner (This 10-question quiz isn’t designed to measure your entire financial IQ, You may *privately reply on my whatsup no 9560084833* or answer in your note book and match  after 10 days Financial awareness Thumb rule series:

1. *The income statement measures:*

a. Profitability

b. Assets and liabilities

c. Cash

d. All of the above

2. *A sale on credit ends up on the income statement as revenue and as what on the balance sheet?*

a. Accounts receivable

b. Long-term assets

c. Short-term liability

d. Operating cash flow

3. *What happens when a company is profitable but collection lags behind payments to vendors?*

a. The company is OK because profits always become cash

b. The company stands a good chance of running out of money

c. The company needs to shift its focus to EBIT

d. The cash fl ow statement will show a negative bottom line

4. *How is gross profit margin calculated?*

a. COGS/revenue

b. Gross profi t/net profi t

c. Gross profi t/revenue

d. Sales/gross profit

5.  *Which statement summarizes changes to parts of the balance sheet?*

a. Income statement

b. Cash fl ow statement

c. Neither of the above

d. Both of the above

6. *EBIT is an important measure in companies because:*

a. It is free cash fl ow

b. It subtracts interest and taxes from net income to get a truer picture of the business

c. It indicates the profi tability of a company’s operations

d. It is the key measure of earnings before indirect costs and transfers

7. *Operating expenses include all of the following except:*

a. Advertising costs

b. Administrative salaries

c. Expensed research and development costs

d. Delivery of raw materials

8. *Owners’ equity in a company increases when the company:*

a. Increases its assets with debt

b. Decreases its debt by paying off loans with company cash

c. Increases its profi t

d. All of the above

9. *A company has more cash today when:*

a. Customers pay their bills sooner

b. Accounts receivable increases

c. Profi t increases

d. Retained earnings increases

10. *Which of the following is not part of working capital?*

a. Accounts receivable

b. Inventory

c. Property, plant, and equipment

d. All of the above are part of working capital

International taxation-*Model Tax Conventions Series* -KP 4 (10-07-2020)

#  *Chapter II: Definitions –Resident*

# *Resident*

  • *Resident of either CS* -A taxpayer has to demonstrate that *he is resident of one or both CSs to be able to gain access to a tax treaty and avail benefits thereunder*.
  • *Meaning of “Resident of a Contracting State”*  Any person who, under the laws of that State, is liable to tax therein by reason of his:

*Domicile*

*Residence*

*Any other similar criterion*

*Place of Management*

*Place of incorporation(POI)*

This term, however, does not include any person who is liable to tax in that State in respect only of income from sources in that state or capital situated therein.

Note: OECD MC does not contain reference to place of incorporation

  • *Tie-breaker Rule*

*In case of Individuals*

Where an individual is a resident of both CSs as per domestic tax laws of that CS, then, his residential status shall be determined by applying the *Tie-Breaker Rule* in the following sequence:

*Permanent Home*

*Centre of Vital Interests*

*Habitual abode*

*Nationality*

*Mutual agreement between Competent Authorities of the CSs*

*In case of Companies*

-Dual residence arises where one CS attaches importance to POI and the other CS to the POEM

-The tie-breaker test involves a case by case approach considering the no. of tax avoidance cases involving dual resident Cos.

-Request has to be mad by the tax payer through Article 25(MAP)

-Competent Authorities will rely on range of factors to resolve the question of dual residency.

Series continue……

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International taxation-Model Tax Conventions Series-KP 3 (09-07-2020)

# Scope of the convention (1) Persons covered (2) Taxes covered

# *Taxes covered*-

  • Taxes on Income and capital
  • The MCs apply to taxes on income and on capital imposed on behalf imposed on behalf of a CS or of its political subdivisions or local authorities, irrespective of the manner in which they are levied.
  • Coverage of taxes-Taxes on Income and on capital covers:
  • *Taxes imposed*

On Total Income

On Total Capital

On elements of income or of capital

  • Taxes included

Taxes on *gains from alienation* of movable or immovable property

Taxes on total amounts of wages or salaries paid by enterprises

Taxes on capital appreciation

Series continue……

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Financial awareness-08-08-2020-Thumb rule #1

*Tomorrow is too late, yesterday is over and now is exactly the right moment. So START financial planning Right now*

Thumb rule #1

*Understanding the measures of Moneymaking-

-*Growth* for its own sake doesn’t do any good. Growth has to be profitable & sustainable.

-*Cash generation* Cash is ‘a company’s oxygen supply. It gives you the ability to stay in business, *Get a total picture*

– *Return on assets* -Not managing only by numbers, *Velocity*-how fast a particular asset moves “through a business to a customer.

*Missing the ‘A,’ or assets part isn’t usually apparent in good times. “It’s when things are slowing down that ROA makes all the difference. Emphasize the ‘A’ continuously—so that their people are always managing the receivables, the fixed assets, and the inventories—that thrive in good times and bad.”

*Think like an Owner*

 *First*, we’re able to think of the business as a whole.

  *Second*, we see the linkages between our unit and the business as a whole.

 * Third*, we’re better able to grasp what’s happening in the outside world—such as an economic slowdown—and relate that to the business and even to our own area.”

*Growth, cash generation, and return on assets—these concepts, along with a focus on customers, form the nucleus from which everything else about a business emanates*

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