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      TaxTMI Updates e-Newsletter
      Mar 11,2013

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      1 Articles Toggle
      By: Pradeep Jain
      Summary: The amendment to section 35C(2A) imposes a statutory ceiling on Tribunal stay orders by allowing extension only on application and upon satisfaction that delay is not attributable to the applicant, and by providing that where an appeal is not disposed of within the total permitted period the stay shall on expiry stand vacated, thereby limiting the Tribunal's ability to maintain stays beyond the prescribed aggregate timeframe.
      8 News Toggle
      Summary: The Budget advances targeted allocations to enhance youth employability and self-employment by funding the National Skills Development Corporation for large-scale vocational training with attendant cash awards, establishing Tool Rooms and Technology Centres to promote technology-led entrepreneurship, increasing education funding and secondary education scheme support, providing scholarships to disadvantaged students via Direct Benefit Transfer, and allocating resources for medical institution hospitals and national sports coaching infrastructure.
      Summary: Preferential treatment for sovereign wealth funds and pension funds reallocates debt limits in government securities and corporate bonds to attract long term offshore capital. Complementary liberalisations increase foreign investment ceilings for long term infrastructure bonds, relax residual maturity and lock in requirements, rationalise debt limit allocation with a reinvestment facility and eased utilisation, and permit higher immediate use of debt limits for qualifying long term infra bonds without prior approval. Withholding tax on interest payments for Infrastructure Debt Funds and specified long term foreign borrowings has been reduced to incentivise offshore investment into infrastructure debt.
      Summary: Proposal to introduce e-governance in Debt Recovery Tribunals and their appellate bodies to automate procedures, improve case management, provide timely reports, enable banks and parties to track case information, and supply Recovery Officers with technological tools to expedite enforcement; no implementing agency has been finalized.
      Summary: Public Sector Banks were advised to conduct all auctions of immovable properties under SARFAESI through electronic bidding to ensure free, fair and transparent disposals; a service provider for e-auctions has been finalised and many banks have commenced using the electronic platform for sale of secured immovable assets.
      Summary: Double Taxation Avoidance Agreements allocate taxing rights between source and residence States for categories of income including business profits (profits of a permanent establishment), shipping and air transport operations, dividends, interest, royalties and capital gains, and include exchange of information provisions to assist tax administration and provide tax certainty for residents while facilitating cross-border investment and services.
      Summary: Allocation of States' share in sharable central taxes was fixed at 32 percent for the period 1 April 2010 to 31 March 2015 under the 13th Finance Commission, and devolution to States has been made accordingly with tabulated net proceeds and States' share released for 2010-11, 2011-12 and 2012-13.
      Summary: New cards must default to domestic use; international use only if customer requests and only on EMV Chip and PIN cards. Issuers must convert prior international users' magstripe cards to EMV and apply customer-accepted threshold limits on active magstripe international cards. Merchant terminals and acquiring IP-based infrastructure must obtain PCI-DSS and PA-DSS certification. Banks must adopt transaction-pattern rules with card networks, move toward real-time fraud monitoring, provide easy card-blocking (eg, SMS confirmation), and implement additional authentication for cards issued domestically but used internationally.
      Summary: The Accredited Client Programme grants assured facilitation to importers demonstrating compliance, initially for one year with annual extensions, and is subject to post-clearance audits; enrolment and cargo percentages are reported, audits revealed short levy of duty and partial recovery, with further action under legal provisions.
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