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India may have to let go of equalization levy once OECD BEPS framework comes into force

India's controversial Equalization Levy, commonly known as the 'Google Tax' would be a thing of the past, when and if it adopts the global plan to have a uniform corporate tax regime. While the G20 tax plan vindicates the stance of India and other large market economies, analysts say finalizing the details will take time given their major impact on India's taxation policy.

July 06, 2021 / 21:03 IST
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Representative Image.
Representative Image.

The G-20-OECD Inclusive Framework on Base Erosion and Profit Shifting (BEPS), which India has adopted, may force it to forego equalization levy, as this particular tax on some global tech companies was meant to be a temporary measure, analysts say.

India, along with most G-20 and OECD members, adopted the BEPS inclusive framework on July 1, outlining a consensus solution to address tax challenges arising from the digitalisation of the economy.

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The proposed solution consists of two components – Pillar One which is about reallocation of additional share of profit to the market jurisdictions and Pillar Two consisting of minimum tax and subject to tax rules.

Parts of the BEPS framework, especially related to ‘pillar two’ are nearly identical to the G-7 global minimum tax plan. In fact, the BEPS framework can be considered an extension of the global minimum tax plan, with developing and poorer nations involved as well.