Tax Avoidance and Evasion – GKToday

Tax Avoidance and Evasion

This article discussed various methods of Tax avoidances and problem of Transfer pricing and its implications on India’s tax revenues.

Methods of Tax avoidances

Concept of Transfer Pricing

Before we understand this concept, we need to take an example. In 2009-10, TCS had shown a net profit per employee of Rs 4.3 lakh. At the same time, Capgemini, a foreign IT firm with operations in India, recorded a net profit per employee of Rs 1.5 lakh. Thus, Capgemini showed a net profit per employee which is around one third of TCS.

Despite of similar business, similar in contract pricing and similar in salaries and other expenses, why the foreign IT firms reporting profitability numbers that are a fraction of their Indian peers?

This difference goes on the same lines on other scales such as revenue per employee, operating profit margin, net profit margin. The experts say that this is due to the menace of Transfer pricing.

Definition

Transfer Pricing Rules

Impact on Indian Economy

We read in the financial newspapers that the cases of the department asking foreign IT companies to recalculate revenues are increasing. As is the quantum of adjustments on account of transfer pricing. The overall adjustment figure for all foreign companies operating in India, in both the IT sector and in non-IT sectors, hit a new high of Rs 22,800 crore in 2010-11.

Transfer Pricing audit

Dispute Resolution Panel (DRP)

Dispute Resolution Panel (DRP) was constituted under section 144C of the Income Tax Act, 1961 inserted by the Finance Act 2009. DRPs had been constituted at Delhi, Mumbai, Ahmedabad, Kolkata, Chennai, Hyderabad, Bengaluru and Pune. DRP consists of three commissioners or directors of income tax appointed by the Central Board of Direct Taxes (CBDT). Any foreign company, or any domestic company with transfer pricing issues, in whose case the income-tax assessing officer proposes to make any variation in the income or loss returned, may apply within a month of receiving the draft assessment order before the DRP for appropriate remedy by way of direction to the assessing officer. However, by now, it has not been a good idea.

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