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Mauritius-based FPIs get tax relief as tribunal rules mutual fund units are not shares

This verdict will also positively impact FPIs based out of jurisdictions such as Singapore which have similarly worded tax treaties with India

September 23, 2025 / 17:51 IST
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While the verdict is in a matter pertaining to India-Mauritius DTAA, tax experts say, it will also benefit Singapore based FPIs since India-Singapore treaty is similarly worded as India-Mauritius treaty.

Several marquee foreign portfolio investors (FPIs) such as Blackrock, Templeton Asset Management, Invesco and capital group, who have invested into India through Mauritius/Singapore route have received a shot in the arm in the form of a recent Delhi Income Tax Appellant Tribunal (ITAT) verdict. In a verdict delivered in late June involving Emerging India Focus Fund (foreign mutual fund), the tribunal ruled units of mutual funds are not shares and hence are eligible for tax exemption under India-Mauritius Double Tax Avoidance Agreement(DTAA). The tribunal hence opined sale of mutual fund units is  not the same as sale of shares by foreign entities in India.

While the verdict is in a matter pertaining to India-Mauritius DTAA, tax experts say, it will  also benefit Singapore based FPIs since India-Singapore treaty is similarly worded as India-Mauritius treaty.

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As a result, Mauritius based FPIs who are mutual funds don’t have to pay capital gains tax in India and claim treaty exemption. Until 2017, even capital gains accrued via sale of shares was exempt from capital gains tax in India, however post the renegotiation of India-Mauritius tax treaty shares became taxable. However, derivative market transactions from Mauritius continued to enjoy tax exemption even under the new treaty. The Emerging India Focus verdict now places even Mauritius based Mutual funds under the exemption bracket.

Tax experts say, the verdict will also have impact on foreign mutual funds coming from other jurisdictions like Singapore whose tax treaties with India are similarly worded.