• Cairn Energy’s daunting I-T maths

    The I-T Dept had on Jan 22, 2014 issued a draft assessment order of Rs 102.47 billion on alleged capital gains Cairn made in a 2006 reorganisation of its India business. British oil explorer Cairn Energy Plc has told its shareholders it faces a penalty up to Rs 102 billion over and above the Rs 290 billion in tax and interest demand slapped by the Indian income tax authorities, involving a case of retrospective legislation.

    The company, in a circular to shareholders dated Wednesday, said it had on February 4 got “a final assessment order from the department”, of Rs 102 billion plus interest backdated to 2007 totalling Rs 188 billion. “The aggregate amount excludes any applicable penalties which may also be applied to the final assessment (potentially up to 100 per cent of the final assessment order, excluding interest),” it said.

    It added that Cairn strongly contests the final assessment proceedings in India and is pursuing its rights under Indian law to appeal, both in respect of the basis of taxation and the amount assessed. And, to protect from enforcement against the assets of CUHL (Cairn UK Holdings). An e-mail to Cairn seeking clarification on the circular remained unanswered. The I-T department had in January 2014 issued a draft assessment order of Rs 102.47 billion on alleged capital gains Cairn made in a 2006 reorganisation of its India business. The final assessment order was issued on February 4, 2016.

    The notice was, however, issued before Finance Minister Arun Jaitley in his Budget for 2016-17 made a one-time offer to waive interest and penalty if companies paid the principal amount to settle the retrospective tax disputes. The company said it had on March 11 this year filed a Notice of Dispute under the UK-India Investment Treaty, to protect its legal position and shareholder interests. 

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