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        2021 (3) TMI 1041 - AAR - Income Tax

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        Taxable business income from global bareboat charter agreements under section 44BB The payments made by the applicant to the vessel providing companies under global usage bareboat charter agreements were deemed to accrue or arise in ...
                        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.

                            Taxable business income from global bareboat charter agreements under section 44BB

                            The payments made by the applicant to the vessel providing companies under global usage bareboat charter agreements were deemed to accrue or arise in India and were subject to withholding tax. The income was held taxable as business income under section 44BB of the Income-tax Act, not as royalty. The ruling confirmed that the computational mechanism under section 44BB applied, making further discussion on the Double Taxation Avoidance Agreement unnecessary.




                            Issues Involved:
                            1. Whether the sum paid by the applicant to the vessel providing company (VPC) under global usage bareboat charter agreements (BBC Agreements) could be said to accrue or arise or deemed to accrue or arise in India under the provisions of the Income-tax Act, 1961 and, therefore, subject to withholding tax in India.
                            2. If the answer to question 1 is in the affirmative, whether the sum paid by the applicant to the VPCs under the global usage BBC agreements are taxable in India under the provisions of section 44BB of the Act.
                            3. Whether the sum paid or to be paid by the applicant to VPCs under global usage BBC agreements can be construed to be in the nature of "Royalty" under section 9(1)(vi) of the Act.
                            4. Whether the sum paid by the applicant to VPC under global usage BBC agreements are construed to be in the nature of "Royalty and fees for included services" under article 12 of the Double Taxation Avoidance Agreement between India and Cyprus, the income chargeable to tax in India is ought to be computed as per the computational mechanism under section 44BB of the Act.

                            Detailed Analysis:

                            Issue 1: Accrual or Arising of Income in India
                            The applicant, a UAE-based company, entered into BBC agreements with VPCs for seismic survey vessels used in India. The applicant contended that the agreements were global, payments were made outside India, and the vessels were delivered outside India, arguing that no income accrued or arose in India. The Revenue countered that the vessels were used in India for ONGC contracts, establishing a business connection in India, thus deeming the income to accrue or arise in India. The ruling found that the source of income was linked to the business operations in India, deeming the income to accrue or arise in India, subject to withholding tax.

                            Issue 2: Taxability under Section 44BB
                            The applicant argued that if the income was taxable in India, it should be computed under section 44BB, which deals with income from services or facilities in connection with the prospecting for, or extraction or production of, mineral oils. The Revenue agreed, citing previous rulings and the nature of the services provided. The ruling confirmed that the income from the BBC agreements was covered under section 44BB, as the vessels were used for prospecting mineral oil in India.

                            Issue 3: Nature of Income as Royalty
                            The applicant contended that the income should not be considered "Royalty" under section 9(1)(vi) of the Act, as it was covered under section 44BB. The Revenue argued that the income was royalty, as it was for the use of scientific equipment (seismic vessels) in India. The ruling determined that the income was not royalty, as section 44BB specifically excluded such income from being categorized as royalty.

                            Issue 4: Computation under DTAA
                            The applicant argued that if the income was considered royalty under the India-Cyprus DTAA, the computational mechanism under section 44BB should apply. However, since the ruling determined that the income was not royalty but business income under section 44BB, this question was deemed unnecessary.

                            Findings and Ruling:
                            1. The sum paid by the applicant to the VPCs under BBC agreements is deemed to accrue or arise in India and is subject to withholding tax.
                            2. The income is taxable as business income under section 44BB of the Act.
                            3. The income is not in the nature of "Royalty" under section 9(1)(vi) of the Act.
                            4. The computational mechanism under section 44BB applies, making further discussion on DTAA unnecessary.

                            Conclusion:
                            The ruling concluded that the payments made by the applicant to the VPCs under the BBC agreements are taxable in India under section 44BB as business income, not as royalty, and are subject to withholding tax.
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                            ActsIncome Tax
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