New Delhi: Interest payable by an Indian company or a business trust to a non-resident, including a foreign company, in respect of rupee-denominated bond issued outside India before the 1stof July 2020 is liable for concessional rate of tax of Five Percent (5%).
Consequently, Section 194LC of the Income-tax Act, 1961 (the Act) provides for the deduction of tax at a lower rate of five per cent on the said interest payment.
Consequent to review of the State of Economy on 14th September 2018 by the Prime Minister, Narendra Modi, the Finance Minister, Arun Jaitley had announced a Multi-pronged Strategy to contain the Current Account Deficit (CAD) and augment the Foreign Exchange Inflow.
In this background, Low-Cost Foreign Borrowings through Off-shore Rupee Denominated Bond have been further incentivised to increase the foreign exchange inflow.
Accordingly, it has been decided that interest payable by an Indian company or a business trust to a non-resident, including a foreign company, in respect of Rupee Denominated Bond, issued outside India during the period from 17th September 2018 to 31st March 2019 shall be exempt from tax, and consequently, no tax shall be deducted on the payment of interest in respect of the said Bond under Section 194LC of the Act.
Legislative amendments in this regard shall be proposed in due course.