Dividend taxation: cross-border allocation of taxing rights and tax credit, with source-state levy limits for new capital. Dividends paid by a UK resident company to an Indian resident may be taxed in India; the beneficial owner resident in India is entitled to a tax credit equivalent to that available to a UK resident and to payment of any excess over UK tax. The tax-credit relief is inapplicable where the beneficial owner company controls, alone or with associated companies, at least ten percent of voting power. Dividends paid to a UK resident by an Indian company may be taxed in the UK and in India, but Indian tax on amounts attributable to new contributions is subject to a source-state limit. Dividend rules yield to profit taxation where the holding is effectively connected with a permanent establishment.
Cases where this provision is explicitly mentioned in the judgment/order text; may not be exhaustive. To view the complete list of cases mentioning this section, Click here.
Provisions expressly mentioned in the judgment/order text.
Dividend taxation: cross-border allocation of taxing rights and tax credit, with source-state levy limits for new capital.
Dividends paid by a UK resident company to an Indian resident may be taxed in India; the beneficial owner resident in India is entitled to a tax credit equivalent to that available to a UK resident and to payment of any excess over UK tax. The tax-credit relief is inapplicable where the beneficial owner company controls, alone or with associated companies, at least ten percent of voting power. Dividends paid to a UK resident by an Indian company may be taxed in the UK and in India, but Indian tax on amounts attributable to new contributions is subject to a source-state limit. Dividend rules yield to profit taxation where the holding is effectively connected with a permanent establishment.
Full Summary is available for active users!
Note: It is a system-generated summary and is for quick reference only.