Bloomberg
India has been ordered to return over $1.2 billion to Cairn Energy Plc after Prime Minister Narendra Modi’s administration lost arbitration proceedings in a tax dispute, its second defeat since September over such levies.
An international arbitration tribunal ruled that India’s tax claim was not valid and asked the government to repay the funds, along with interest, to Cairn.
India had seized dividend, tax refund and shares to partly recover the dues. The judges unanimously ruled that India’s retrospective tax demand breached the UK-India bilateral investment protection treaty, Cairn said.
Cairn Energy surged as much as 45% in early London trading, its biggest intraday gain in almost 17 years.
The ruling is India’s second loss in an international arbitration after it changed
a law in 2012 enabling it
to retrospectively tax companies for mergers and acquisitions going as far back as 1962. A move that spooked investors. Three months ago, Vodafone Group Plc won a years-long tax dispute with the government over a controversial $3 billion tax demand.
“The 2012 amendment muddied the waters for everyone,†said Chitranshul Sinha, a partner at India-based law firm Dua Associates. “Vodafone and Cairn awards should be taken as a lesson that predatorial retrospective tax policies are something which should be done away with.â€
Former Finance Minister Pranab Mukherjee introduced the retrospective tax after the nation’s income tax office lost a case demanding Vodafone pay capital gains levies for its 2007 acquisition of the then Hutchison Whampoa Ltd’s Indian operations. The restitution of Cairn’s claim compares with its market capitalisation of $1.3 billion, and “if successful and enforced, could produce windfall-enabling M&A or a special dividend,†Bloomberg Intelligence analyst Will Hares wrote last year.