TAX

OPPI Knowledge Series
Impact of Direct Taxes Code Bill 2010
September 2010
KPMG IN INDIA

Agenda
1 2 3 4 5 6 7 8 9 Background Corporate Tax Personal tax Capital Gains Overview – Sources of Income International Taxation Branch Profits Tax Transfer Pricing MAT

10 Deduction for Scientific R & D allowance 11 Tax Incentives - Others 12 SEZs / SEZ Units 13 Business income 14 DDT Credit 15 Wealth tax 16 CFC 17 Hits & Misses / Key focus areas for MNCs
© 2010 KPMG, India Private Limited, an Indian private limited companynetwork of independentthe KPMG network of independent member firms affiliated with KPMG International, a © 2010 KPMG an Indian Partnership and a member firm of the KPMG and a member firm of member firms affiliated with KPMG International Cooperative (“KPMG International”), a Swiss entity. All All rights reserved. Swiss cooperative. rights reserved.

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Background
       DTC 2009 unveiled in August 2009 The Government received over 1,600 representations on DTC 2009 RDP released in June 2010 on 11 specific issues DTC 2010 tabled in the Lok Sabha on 30 August 2010 DTC 2010 to cost the Exchequer revenue loss of INR 531,720 Million on reduced rates After clearance from the Parliamentary Standing Committee, the Bill may be passed in the Winter Session The DTC 2010 to be effective from FY commencing 1 April 2012

319 Sections and 22 Schedules in DTC 2010 vis-à-vis 298 Sections and 14 Schedules in the ITA Simplified Legislation ?
© 2010 KPMG, an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”), a Swiss entity. All rights reserved.

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All rights reserved.15 percent 18 percent 15 percent 20 percent 15 percent MAT DDT Income distributed by mutual fund to unit holders of equity oriented Funds Income distributed by life insurance companies to policy holders of equity oriented life insurance Schemes Not applicable 5 percent of income distributed Not applicable 5 percent of income distributed © 2010 KPMG.Foreign Company 40 percent  Additional branch profit tax . an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”).Corporate Tax Rates Category Income Tax .Indian Company ITA (Headline Rates) 30 percent 30 percent  30 percent DTC 2010 Income tax . 4 . a Swiss entity.

000 INR 500.000 Above INR 1.000 Above INR 800. 65 years of age or more) basic exemption limit enhanced to INR 250. a Swiss entity.000* INR 200.000 Impact / Issues – Token reduction in tax liability (i.000 Tax Rate (Per cent) Nil 10 20 30 For resident Senior Citizens (i.000 INR 500.000* INR 160.000. increase in net disposable income) – In case of Resident Women same exemption limit as Resident Men assessees – Education cess (@ 3 per cent) has been abolished © 2010 KPMG.001 to 800.Rates of income tax Existing Slabs (As per ITA) Upto INR 160. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”).000 Proposed Slabs (As per DTC 2010) Upto INR 200.e.001 to 500.000. 5 .e. All rights reserved.001 to 500.000 from INR 240.001 to 1.Personal Tax .

adversely affected qua Wealth Tax © 2010 KPMG. All rights reserved. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”).Personal Tax . 6 . however. a Swiss entity.Definition of Residency  Category of ‘Not Ordinary Resident’ deleted but the concept remains  Individual can be either “Resident” or “Non Resident”  Residency threshold for visiting Indian citizens/person(s) of Indian origin reduced to 60 days from 182 days  Expatriates of Foreign Nationality not adversely affected qua Income-Tax.

an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”).Income from Employment  “Employer” defined “means a person who controls an individual under an express or implied contract of employment and is obliged to compensate him by way of salary”  Income from Employment = Gross Salary – Specified Deductions  TDS on salary now on payment/ credit whichever is earlier Additional burden of TDS on credit to books of accounts  Most exemptions/ deductions retained with minor tweaking © 2010 KPMG. All rights reserved. a Swiss entity.Personal Tax . 7 .

a. 8 . amounts received on death/ maturity of life insurance policy tax -free – Avenues reduced (no Housing Loan Principal. a Swiss entity. – Deduction limits for life (premium less than 5 per cent) and health insurance premiums. tuition fees restricted to INR 50.000 p. Impact / Issues – Retaining EEE taxation – major relief in absence of established social security system – Withdrawals of Provident Fund. All rights reserved.a.Personal Tax – Incentives  Incentives – Exempt – Exempt – Exempt (EEE) mode of taxing long term retiral savings retained – Deduction to approved provident funds. pension funds etc upto INR 100. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). ELSS.000 p. Fixed deposits etc) © 2010 KPMG.

Personal Tax – Incentives Investment Life Insurance Premium (LIP) ITA DTC 2010 Impact • LIP deduction upto INR 1 Lakh (if premium < 20 per cent of capital sum) • LIP deduction . an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). premium limit reduced to 5 per cent of capital sum © 2010 KPMG.000 (if premium < 5 per cent of capital sum) • Deduction part of INR 50. All rights reserved.000 limit • Annual accretion exempt • Annual accretion exempt • No change • Maturity proceeds exempt (if premium < 20 per cent of capital sum) • Maturity proceeds exempt if premium < 5 per cent of capital sum • For exemption on maturity. 9 .upto INR 50. a Swiss entity.

if indexation not availed) Deduction allowed for 50% of gains – Balance taxable at normal rates (30%) DTC 2010 Taxable at normal rates (30%) Indexation available LTCA : Period of holding of shares / units  One year from the date of acquisition or  One year from the end of the FY in which the shares / units are purchased ? © 2010 KPMG. a Swiss entity. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). All rights reserved. 10 .Capital gains tax Gain on transfer of Equity Shares / Units of Equity Oriented Fund on which STT is paid ITA DTC 2010 Long Term Capital Gains (more than 1 year) Exempt Deduction allowed for 100% of gains (Effectively exempt) Short Term Capital Gains (1 year or less) Gain on transfer of other Investment Assets If held for more than 1 year from end of FY in which asset is acquired 15% ITA 20% (10% in certain cases.

11 11 . for all Assesses Pari materia with DTC 2009 © 2010 KPMG. Dividend. Ordinary Sources Other than Special Sources:      Income from Employment Income from House Property Income from Business Capital Gains Income from Residuary Sources Non-Resident Sportsman / Sports Association / Institution Winning from lottery. etc. horse race. any game or betting. Capital Gains.Overview – Sources of Income Income Special Sources  Non-Resident     Investment Income (Interest. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). etc.) Royalty and Fees for Technical Services. race. All rights reserved. etc. a Swiss entity.

Tax Residency for Foreign Companies ITA Control and management of affairs situated wholly in India Control and management of affairs situated wholly or partly in India. the place where such executive directors or officers perform their functions. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”).International Taxation .” DTC 2009 Impact / Issues     Residency for non-corporate entities continues to be based on ‘control and management’ test Expression ‘at any time’ very wide Meaning of the expressions ‘routinely’ / ‘commercial and strategic decisions’ Multiple POEMs in India and abroad : Application of tie-breaker test in tax-treaty? © 2010 KPMG. 12 . at any time in the FY “place of effective management of the company” means DTC 2010  the place where the board of directors of the company or its executive directors. a Swiss entity. at any time in the FY ‘Place of effective management’ (‘POEM’) situated in India. All rights reserved. or  in a case where the board of directors routinely approve the commercial and strategic decisions made by the executive directors or officers. make their decisions.

All rights reserved. following shall be not be deemed to accrue / arise in India: (New) Income from transfer. directly or indirectly. 13 . outside India. in India from the transfer. of shares or interest in a foreign company unless FMV of assets in India (owned directly or indirectly by the company) represent atleast 50 percent of the FMV of all assets owned by the foreign company 50 percent test to be applied at any time during the 12 months prior to transfer (New) Tax on income computed under DTC 2010 to be pro-rated based on FMV proportion of India assets/ total assets of foreign company (New) DTC 2010 Impact / Issues  Overseas transfer of assets / shares (with underlying economic interest in India) whether taxable?  Meaning of the expressions ‘interest’ in a foreign company / ‘owned directly and indirectly’ by the Company  Exclusions applicable only for shares or interest in a foreign company and not to intangible assets like trademark  Guidelines awaited on FMV methodology. directly or indirectly. in India from transfer of a capital asset situated in India (Same as ITA) However. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). a Swiss entity. directly or indirectly.Transfer of Assets by non-residents DTC 2009 Income deemed to accrue/arise. which are critical in determining applicability of this provision  Provision can be overridden by a favourable tax treaty © 2010 KPMG.International Taxation . of a capital asset situated in India Income deemed to accrue / arise.

Tax Treaty not to have preferential status when  GAAR invoked.International Taxation – Treaty Override   No preferential treatment between DTC or the Tax Treaty Provision which is later in point of time to prevail DTC 2009 DTC 2010  Restoration of Treaty supremacy over domestic law as under ITA  Limited Treaty Override . or  CFC triggered. 14 . or  BPT levied Impact / Issues  Deeming provisions for non-residents: Scope enlarged in DTC 2010  Treaties to override deeming provisions © 2010 KPMG. All rights reserved. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). a Swiss entity.

expenses. etc •Deemed connected person as same. relief. etc Disregard/ combine/ recharacterize the arrangement Is not for bonafide purposes 15 © 2010 KPMG. relief. a Swiss entity. expenses. .International Taxation – GAARs (1/2) Rights / Obligations not at arm’s-length the arrangement as void Disregard accommodating parties/ Treat parties as one and the same •Treat Lacks commercial/ economic substance Re-characterize Equity -Debt. Income. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). All rights reserved. etc Misuse / Abuse of DTC GAARs invoked Is main purpose ‘Arrangement’ of tax benefit? (impermissible avoidance arrangement) Re-allocate income.

a Swiss entity. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). etc. in absence of appropriate substance / commercial rationale. All rights reserved. 16 .International Taxation – GAARs (2/2) Impact / Issues  GAARs to override tax treaties: Sustainability of tax treaty protection with Mauritius. Cyprus.?  GAARs not to be invoked for every arrangement involving tax mitigation (RDP)  To watch out for CBDT guidelines on GAARs  Effectiveness of DRP route for resolving GAARs related disputes  Availability of AAR mechanism? © 2010 KPMG. etc.

a Swiss entity. All rights reserved.  Service PE (no time threshold specified). 17 . an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”).Permanent Establishment   PE defined : Relevant for Business Connection and BPT PE includes :  Fixed place PE.International Taxation .  Substantial Equipment PE (no time threshold specified) and  Agency PE (excludes independent agents) Impact / Issues       Non-specification of time thresholds : Impact thereof No exclusions for preparatory and auxiliary activities No definition for Independent Agent PE definition in Treaties to over-ride ‘Business Connection’ test BPT not subject to treaty protection. treaty definition of PE not relevant for BPT Chargeability to BPT in a situation where PE exists under the DTC 2010 but no PE under treaty (and consequently no liability to Income tax) ? © 2010 KPMG.  Construction / Installation / Assembly / Supervisory PE (no time threshold specified). hence.

Branch Profits Tax (‘BPT’)  Additional BPT proposed to be levied @ 15% on income of foreign companies  Effective tax rate – 40. a Swiss entity. or  from an immovable property in India  Corresponds to DDT on Indian companies  however not linked to repatriation of income  Levy of BPT overrides tax treaty provisions  Applicability of BPT on overseas entities like LLP. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). etc?  Use of subsidiary may achieve tax deferral till repatriation © 2010 KPMG. LLC. 18 .5%  Applicable to income of foreign companies:  attributable directly or indirectly to a PE in India. All rights reserved.

where amount / conditions are influenced by other enterprise  Shareholding. All rights reserved. a Swiss entity. nomination of directors etc.Enterprises in any specific location (to be prescribed)  Provision of Services . aligned with ITA © 2010 KPMG. loans. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). some broadening  Location .Transfer Pricing  APA regime continues as provided under DTC 2009  Widening of powers for determination of ALP  Audit Process  Proposal to select cases based on “Risk” dropped  TPO no longer required to issue “show-cause” before making adjustment  AE definition generally aligned with ITA. 19 .

an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). a Swiss entity.MAT       ‘Asset’ based levy in DTC 2009 substituted with ‘Book Profits’ based levy as under ITA SEZ developers / SEZ Units no longer exempt from MAT Headline Rate increased from 18 percent to 20 percent MAT Credit : Similar Mechanism as under ITA Carry forward of MAT credit upto 15 years as against 10 years in the ITA MAT credit to lapse in case of conversion of a private company or an unlisted public company into a limited liability partnership Impact / Issues  No specific provision for grandfathering of unutilized MAT credit carried forward from ITA  No provision for carry forward of MAT credit in case of business reorganisation © 2010 KPMG. All rights reserved. 20 .

of minerals. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). 21 . a Swiss entity. natural or applied science  Specifically excludes following activities:          Market research or Sales Promotion Research in social sciences / humanities Quality control or Routine Testing of Materials. etc. Devices. Products or Processes Prospecting. applied research and experimental development in field of technology. petroleum or natural gas Commercial production of a new or improved material / device / product Commercial use of a new or improved process Style changes Routine data collection Benefit not available where R&D is the business of the assessee © 2010 KPMG. All rights reserved.Deduction for Scientific R & D allowance (1/2)  Scientific R&D definition as per DTC 2009 retained .refers to basic research.

a Swiss entity. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”).Deduction for Scientific R & D allowance (2/2) Particulars ‘In house’ R&D expenditure available to a corporate only (includes both revenue and capital expenditure. All rights reserved. excluding land and building cost) Outsourced R&D  Approved Research Association / National Laboratory / University / College / Institution for scientific research Approved Research Association / University / College / Institution for social science Contribution made to a company engaged in scientific research 175% 125% 175% ITA 200% DTC 2009 150% DTC 2010 200%   125% 125% 125% 125% 100% 100% © 2010 KPMG. 22 .

Others  Specified profit linked tax holiday under the Act to continue for the unexpired period  Tax holiday under Section 80 IC grandfathered . 2012  Profits to be computed as per the Code  No deduction to be allowed for capital expenditure and expenditure incurred before commencement of business  Conditions specified in relevant provisions of the Act to be complied with  Investment linked tax incentives retained and extended to specified new hospital © 2010 KPMG.unit should have been eligible for deduction for AY beginning on April 1. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). a Swiss entity. All rights reserved. 23 .Tax Incentives .

an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”).2014 Yes – irrespective of date of commencement of operations Investment-linked incentive Not Applicable Yes – notified on or after 01.SEZs / SEZ Units Particulars SEZ Developers ITA Profit-linked incentive Yes – irrespective of date of notification DTC 2010 Yes – notified up to 31.3. All rights reserved.04.2012 ITA Yes – irrespective of date of commencement of operations SEZ Units DTC 2010 Yes – commencement of operations before 31. a Swiss entity.2012 Yes – irrespective of date of notification Not Applicable MAT payable No No DDT payable No Yes © 2010 KPMG.04. 24 .2014 (No condition for due date for notification of SEZ) Yes – commencement of operations on or after 01.3.

25 . unlike DTC 2009 Sale of carbon credits to be taxable as business income : Impact on earlier years ? Expenditure to be allowed in the year of payment of TDS – Two years’ limitation under DTC 2009 dropped  Non-moving creditors beyond five years to be treated as taxable business income as against three years in DTC 2009  Deduction for specified deferred revenue expenditure to be allowed on straight-line basis over 6 / 10 years as against allowance on WDV basis @ 25 percent / 15 percent as under DTC 2009  Cost of acquisition of license / right / benefit now allowed as a deduction from sale consideration © 2010 KPMG.Business Income    Slump sale to be taxed as capital gains and not business income. a Swiss entity. All rights reserved. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”).

except condition no. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). even if X is a subsidiary of Z: Significant relaxation for intermediate holding companies  Availability of Multi-level DDT credit (DDT on INR 70 paid by Y and set-off by X) flow through to Z for dividends declared by Z? © 2010 KPMG. 26 . 3 deleted Impact / Issues  X eligible for DDT credit under DTC 2010 unlike ITA.DDT Credit In computing DDT. amount of dividend declared (INR 100) by a Company (X) to be reduced by dividend received (INR 70) from another Company (Y). All rights reserved. if: 1) dividend (INR 70) is received (by X) from a subsidiary (Y) 2) subsidiary (Y) has paid DDT on such dividend (INR 70). a Swiss entity. and 3) recipient company (X) is not a subsidiary of any other company (Z) Same as ITA ITA DTC 2009 DTC 2010 Same as ITA.

an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”).000 Particulars Overseas assets for foreign citizens ITA DTC 2010 Impact  Overseas assets exempt irrespective of residential status  Wealth-tax on specified overseas assets if Residents of India  Greater wealthtax liability Indian Citizens / PIOs repatriating funds to India  Overseas Assets exempt irrespective of residential status  Wealth-tax on specified overseas assets if Residents of India  Greater wealth-tax liability © 2010 KPMG.Wealth Tax Wealth Tax:  Every person (other than a NPO) will be liable to pay wealth-tax at the rate of 1 percent on net wealth exceeding INR 10 Million  Scope of “Specified Assets” expanded to interalia include certain additional assets such as:  Archaeological collections. paintings. a Swiss entity.000  Bank deposits outside India  Cash in hand in excess of INR 200. All rights reserved. sculptures or any other work of art  Watch with a value in excess of INR 50. 27 . drawings.

a Swiss entity. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). 28 . All rights reserved.CFC CFC provisions introduced     Total income of residents to include income attributable to a CFC CFC specifically defined in the Code Income attributable to a CFC to be computed as per Specified Formula CFC provisions to impact outbound investments © 2010 KPMG.

Hits and Misses for MNCs  Exemption from LTCG on listed shares  MAT leviable on Book Profits as against Gross Assets  Income Tax Holiday for SEZ units partially extended  Supremacy of Tax Treaty in most cases  APA regime  MAT for SEZ Units  Wide-sweep of GAARs retained  Wide PE definition HITS MISSES  Non-Rationalization of DRP regime  Uncertainty in taxability of crossborder transactions / overseas M&As © 2010 KPMG. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). a Swiss entity. 29 29 . All rights reserved.

30 30 .Key Focus Areas for MNCs  Representation before Parliamentary Standing Committee  Inbound Investments through Mauritius / Cyprus etc:  Evaluating substance – if not then build substance. or  Transition investment to other tax efficient jurisdiction having substance (Singapore. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). All rights reserved. 2014 – SEZ tax holiday  Evaluate existing structures with Branch Office in India due to introduction of BPT  Evaluate withholding tax implications on cross border transactions  Taxability of overseas M&A © 2010 KPMG. a Swiss entity. Netherlands)  Preparing for APAs  Outsourcing of services / activities to India before March 31.

31 . 1961 Long-term Capital Asset TP TPO NPO PIOs Transfer Pricing Transfer Pricing Officer Non-Profit Organisation Person of Indian Origin SEZ STCG STT TDS Special Economic Zone Short-term Capital Gain Securities Transaction Tax Tax Deducted at Source NPO PE POEM RDP R&D Non Profit Organisation Permanent Establishment Place of Effective Management Revised Discussion Paper on Direct Taxes Code Research & Development LTCG LLP MAT Long-term Capital Gain Limited Liability Partnership Minimum Alternate Tax © 2010 KPMG. All rights reserved. a Swiss entity. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”).Glossary AY AAR AE APA BPT CFC CBDT CG DTC 2009 DTC 2010 DRP DDT FII FMV FY GAARs ITA LTCA Assessment Year Authority for Advance Rulings Associated Enterprise Advance Pricing Agreement Branch Profits Tax Controlled Foreign Companies Central Board of Direct Taxes Capital Gains Direct Taxes Code Bill 2009 Direct Taxes Code Bill 2010 Dispute Resolution Panel Dividend Distribution Tax Foreign Institutional Investors Fair Market Value Financial Year General Anti Avoidance Rules Income-tax Act.

All rights reserved. a Swiss entity. 32 .Questions Answers © 2010 KPMG. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”).

THANK YOU ALL FOR YOUR ATTENTION ! Hitesh Gajaria Executive Director KPMG in India Tel: +91 22 3090 2110 Email: hgajaria@kpmg. All rights reserved. 33 .com © 2010 KPMG. a Swiss entity. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”).

All rights reserved. Road. Ravipuram.M. there can be no guarantee that such information is accurate as of the date it is received or that it will continue to be accurate in the future. an Indian Partnership and a member firm of the KPMG network of independent member firms affiliated with KPMG International Cooperative (“KPMG International”). a Swiss entity. 4th Floor Road No. 11. 10th floor. East Wing. DLF Cyber City.com/in Mumbai Lodha Excelus. Bund Garden. Godrej Castlemaine. Inner Ring Road Bangalore 560 071 Tel +91 80 3980 6000 Fax +91 80 3980 6999 Hyderabad 8-2-618/2 Reliance Humsafar. Tower B. N.kpmg.www. Sector 8 C Madhya Marg Chandigarh 160019 Tel +91 72 3935 781 Fax +91 72 3935 780 The information contained herein is of a general nature and is not intended to address the circumstances of any particular individual or entity. Sector . Pune 411 001 Tel +91 20 305 85764/65 Fax +91 20 305 85775 Kochi 4/F.G-1. 10 Mahatma Gandhi Road. Salt Lake City Kolkata 700091 Tel: +91 33 44034066 Fax: +91 33 4403 4199 Pune 703.EP & GP. Palal Towers. Apollo Mills Compound. M. Kochi 682016 Tel +91 (484) 302 7000 Fax +91 (484) 302 7001 Chandigarh SCO 22-23 Ist Floor. Phase – II Gurgaon 122002 Haryana Tel +91 124 3074000 Fax +91 124 2549101 Bangalore Maruthi InfoTech Centre 11/1 and 12/1. Chennai 600 034 Tel +91 40 3914 5000 Fax +91 40 3914 5999 Kolkata Infinity Benchmark. Plot No. II Floor. Joshi Marg.10. Although we endeavor to provide accurate and timely information. Block . Mumbai 400 011 Tel +9122 39896000 Fax +91 22 39836000 New Delhi Building No. © 2010 KPMG. G. 1st Floor. Nungambakam. Mahalakshmi. . 8th Floor.V. No one should act on such information without appropriate professional advice after a thorough examination of the particular situation. Koramangala. Banjara Hills Hyderabad 500 034 Tel +91 40 6630 5000 Fax +91 40 6630 5299 Chennai No.

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