Advertisement
A 2012 amendment that gave taxmen powers to go back 50 years and slap capital gains levies wherever ownership had changed hands overseas but business assets were in India, was used to raise Rs 1.1 lakh crore demand against multi-nationals such as telecom group Vodafone, pharmaceuticals company Sanofi and brewer SABMiller, now owned by AB InBev, and Cairn Energy Plc. Such demands brought uncertainty in the minds of investors.
To repair India’s damaged reputation as an investment destination, the government in August 2021 enacted new legislation to drop all such demand and refund about Rs 8,100 crore collected on the condition that any pending lawsuit or legal challenge against the government anywhere in the world would be dropped.
Cairn, from whom Rs 7,900 crore was seized to enforce the retrospective tax demand, as well as Vedanta Group, have dropped lawsuits. Cairn is now eligible for the tax refund.
Related Articles
Advertisement
The move will help restore investor confidence by providing a predictable and stable tax regime.
”So stability, predictability and not giving any surprise is a matter of tax policy which we have implemented,” he said at a PHD chamber event here.