Permanent Establishment arising out of "Exploration of Natural Resources"
Permanent
Establishment arising out of “Exploration of Natural Resources”
The
Supreme Court in the latest judgment in Formula One has set out the test
of PE as ‘permanence test’, ‘business
activity test’ and ‘disposal test’. The same test would also have to be applied for establishing a PE in India.
In
the absence of a specific clause pertaining to “exploration for mineral oils,
natural resources” in DTAA between India and other countries in Article 5 as an
exemption from being a Permanent Establishment (“PE”) through duration, the
income arising from providing services related to “exploration of natural
resources” in high seas or land shall be considered as a “business income” in
India.
Klaus
Vogel in his Commentary on Double Taxation Conventions, Third Edition(para 44,
pg294)states with regard to Article 5(2),while referring to exploration of
natural resources as mentioned at subparagraph (f) , that since this sub para
does not include exploration and only refers to extraction of natural
resources, and since it has not been possible to arrive at a common view on the
basic questions of attribution of taxation rights and of the qualification of
the income from exploration activities, the contracting States may agree upon
the insertion of specific provisions.
They may
agree, for instance, that an enterprise of a contracting State, as regards
activities of exploration of natural resources: (a) shall be deemed not to have
a permanent establishment in that State; or (b) shall be deemed to carry on
such activities through a permanent establishment in that other state; or (c)
shall be deemed to carry on such activities through a permanent establishment
in that other State if such activities last longer than a specified period of
time.
For
e.g. DTAA between India-Singapore
The
term "permanent establishment" includes especially :
(f)
|
a mine, an oil or gas well, a
quarry or any other place of extraction of natural resources ;
|
|
(j)
|
an installation or structure used
for the exploration or exploitation of natural resources but only if so used
for a period of more than 120 days in any fiscal year.
|
Notwithstanding
the provisions of paragraphs 3 and 4, and enterprise shall be deemed to have a permanent
establishment in a Contracting State and to carry on business through that
permanent establishment if it provides services or facilities in that
Contracting State for a period of more than 183 days in any fiscal year in
connection with the exploration, exploitation or extraction of mineral oils in
that Contracting State.
DTAA between
India-USA
The
term "permanent establishment" includes especially :
(j)
|
an installation or structure used
for the exploration or exploitation of natural resources, but only if so used
for a period of more than 120 days in any twelve-month period ;
|
DTAA between
India-Japan
The
term 'permanent establishment' includes especially :
(f)
|
a mine, an oil or gas well, a
quarry or any other place of extraction of natural resources ;
|
|
(j)
|
an installation or structure used
for the exploration of natural resources, but only if so used for a period of
more than six months.
|
DTAA between
India-UK
The
term "permanent establishment" shall include especially :
(h)
|
a mine, an oil or gas well, quarry
on other place of extraction of natural resources;
|
||
(i)
|
an installation or structure used
for the exploration or exploitation of natural resources;
|
||
activities of that nature continue
within that State for a period or periods aggregating more than 90 days
within any twelve-month period
|
|||
DTAA
India-Netherlands
The
term "permanent establishment" includes especially :
(f)
|
a mine, an oil or gas well, a
quarry or any other place of extraction of natural resources ;
|
|
(i)
|
an installation or structure used
for the exploration of natural resources provided that the activities
continue for more than 183 days.
|
DTAA
India-Saudia Arabia
The
term "permanent establishment" includes especially :
(f)
|
a mine, a gas well, a quarry or
any other place of extraction of natural resources.
|
The
one between India and Saudi Arabia is an example in which exploration of
natural resources is not covered.
However, the term used is extraction of natural resources. But the same is not qualified by any specific
duration.
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