EYEY

Indian Tax Tribunal applies beneficial treaty rate to dividend distributed during the dividend distribution tax regime

|Tax Alerts, Legislation & Policy, Na ...|India, Malaysia
India, Malaysia

Executive summary

The Indian Tax Tribunal1 ruled on 30 April 2021 that tax on dividend income earned by a nonresident shareholder during the dividend distribution tax (DDT) regime must be limited to the applicable in-force tax treaty rate. The Tribunal ruled that dividend income was subject to tax in the hands of shareholders even during the DDT regime, as the imposition of tax was merely shif…

Continue Reading