Resolut Partners

Webinar

Denial of tax treaty benefits: Blueprinting defence strategies for PE funds – A tax litigation perspective

Wednesday, June 8, 2022

5.00 pm to 6.30 pm IST | 7.30 am to 9.00 am EST | 7.30 pm to 9.00 pm SGT

In collaboration with

ApreaAeka

Introduction

The tax department has recently reopened assessments of several global fund houses (including notable PE firms) and retrospectively denied treaty benefits under the Mauritius and Singapore Treaties on the basis that these entities had indulged in fiscal evasion by means of treaty shopping, as their place of effective management was not, in fact, in Mauritius or Singapore. Though grandfathered under GAAR, department has invoked judicial GAAR and denied tax treaty benefits, slapped substantial tax demands along with interest for prior assessment years, and levied penalties for under-reporting of income, in accordance with the provisions of the Income-tax Act. Revenue has also disallowed carry forward of losses from the grandfathered years. This issue is also centre stage in several ongoing assessments as well as deal negotiations since pre 2017 investments are yet to be fully harvested.

There is also the angle of indirect share transfers and possible treaty exemptions for such transactions even for post 2017 acquisitions. Add to this the complexity of converting shares from preference to equity, mergers and demergers.

We invite you to join us for an interaction as we carefully evaluate defence strategies for the proceedings, analyze different fact patterns, delve into case laws where the Revenue has been successful, and revisit what ‘substance’ and purpose mean in the evolving sphere of global tax jurisprudence.

Agenda

5.00pm - 6.00pm IST

  • What was the trigger for the assessments and reassessments?
  • Analysing fact sets where decisions went against the taxpayer?
  • Recent case law updates and discussion on 'beneficial ownership' and 'substance'
  • What legal steps can now be taken against such proceedings?
  • Can funds carry forward capital losses for grandfathered years?
  • Analysing evolution of GAAR and MLI Establishing substance post
  • 2017 – checks and balances? Indirect share transfers and
  • continuing treaty exemptions – establishing strong basis for the
  • claims Negotiating positions in transactions and possible
  • indemnity consequences Considerations and risk mitigations for GPs
  • Tax Insurance – Costs, exclusions and efficacy?

Q&A round


6.00pm - 6.30pm IST

Speakers

Abhishek Goenka

Abhishek Goenka

Partner

Aeka Advisors

Kushal Agrawal

Kushal Agrawal

Partner & CFO

Lightrock

Amit Solanki

Amit Solanki

President

Liability and Special Risks at Howden Insurance Brokers India Pvt. Ltd.

Anandu unnikrishnan

Anandu unnikrishnan

International Tax Lead,

Resolüt Partners

Ruchir Sinha

Ruchir Sinha

Managing Partner

Resolüt Partners