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<h1>Minimum Alternate Tax applicability to foreign portfolio investors challenged; committee finds MAT inapplicable without Indian place of business.</h1> The Report concludes that MAT under Section 115JB is an integrated code tied to Companies Act accounting obligations and therefore does not apply to FIIs/FPIs that have no established place of business or PE in India. Section 115AD constitutes a self contained concessional tax regime for FIIs/FPIs on securities income; applying MAT would render that regime otiose. The Committee views the 2015 prospective amendment as clarificatory and recommends legislative or administrative clarification to exclude FIIs/FPIs from MAT.