{"id":3114,"date":"2020-05-30T00:26:40","date_gmt":"2020-05-29T18:56:40","guid":{"rendered":"https:\/\/r-arora.com\/?p=3114"},"modified":"2023-03-17T00:37:20","modified_gmt":"2023-03-16T19:07:20","slug":"taxability-of-indirect-transfer-of-indian-assets","status":"publish","type":"post","link":"https:\/\/r-arora.com\/taxability-of-indirect-transfer-of-indian-assets\/","title":{"rendered":"Taxability of Indirect Transfer of Indian Assets"},"content":{"rendered":"

1. Background<\/strong><\/p>\n

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When a foreign Company holds shares of foreign companies which having substantial interest in Indian entities and derive their value from Indian assets. In this article we are addressing\u00a0 if a company transfers its stake of Foreign entity outside India whether capital gains will be applicable on the said transaction.<\/p>\n

This Article \u00a0addresses \u201cthe tax implications on Company with regards to Sale of shares of Foreign Company having direct \/ indirect stake in \u00a0an Indian \u00a0entity.<\/p>\n

Let\u2019s understand the legal provisions with a case study:<\/strong><\/p>\n

Dubai based company \u00a0hereinafter referred to as \u201cABC Inc\u201d holds shares of a company in United States of America \u00a0hereinafter referred to as \u201cXYZ Inc\u201d which further has a subsidiary in India \u00a0hereinafter referred to as \u201c I Ltd\u201d and therefore derives its value from Indian assets. \u00a0ABC Inc in Dubai is now transferring shares of such USA based entity XYZ Inc to \u00a0a company in Singapore hereinafter referred to as \u201cHolding Co \u201d<\/strong><\/p>\n

2. Legal provisions and Analysis<\/strong><\/p>\n

Capital gain arising through or from the transfer of a capital assets situated in India would be deemed to accrue or arise in India in all cases irrespective of the fact whether<\/p>\n