While the Cabinet yesterday approved the signing of revised pact with Cyprus, which will enable India to tax capital gains for investments originating there, the government has already revised the tax treaty with Mauritius.
The new treaty with Cyprus will remove it from India's list of "notified jurisdictions", which currently puts restrictions on inflows from that country.
Similar tax treaties with Singapore and the Netherlands are under negotiations for revision.
PwC India Partner (Direct Tax) Abhishek Goenka said this withholding tax rate is likely to be retained at 10 per cent in the Cyprus treaty.
Also Read
"It seems that Mauritius is a better treaty on two counts -- 50 per cent concessional capital gains tax rate and 7.5 per cent withholding tax on debt," Goenka said.
"From the government press release its not clear whether Cyprus has renegotiated for a reduced tax on interest just like Mauritius," he said.
Under the amended treaty with Mauritius, for two years beginning April 1, 2017, capital gains tax will be imposed at 50 per cent of the prevailing domestic rate. Full rate will apply from April 1, 2019.
Further, interest arising in India to Mauritian resident banks will be subject to withholding tax in India at the rate of 7.5 per cent in respect of debt claims or loans made after March 31, 2017.
Foreign Direct Investment (FDI) of as much as USD 8.3 billion came from Mauritius last fiscal, while only USD 508 million came from Cyprus. Besides, USD 13.69 billion came from Singapore, and USD 2.64 billion came in from Netherlands.
the best regime for lower or nil rate of capital gains tax exemption for investments into india.
"Mauritius, Singapore, Cyprus will lose out if the Netherlands treaty is not amended to bring it as par with the other jurisdictions," he said.
Following the signing of the revised double taxation avoidance agreement with Cyprus, while investments into India through the Mediterranean island nation will be taxed on exit, no specific Limitation of Benefit (LoB) clause has been inserted.
KPMG (India) Partner Transfer Pricing Rahul K Mitra was of the view that since investments from both the jurisdictions have been grandfathered till March 2017, thus "both Cyprus and Mauritius tax treaties with India apparently stand on equal footing now".
"Worldwide tax environment is changing to incorporate the BEPS recommendations and India is also steadily strengthening its fight against tax evasion done using round tripping or treaty shopping," Nangia said.
"However, interestingly no LoB clause has been inserted, which is mainly because unlike Mauritius Treaty, there is no concessional rate of Short term capital gain tax at 7.5 per cent for the transition period of 2017-2019," Nangia added.
The Mauritius and Cyprus treaties till now provided that capital gains on sale of assets in India by companies registered in those nations can only be taxed there.