Budget 2024: Tax Incentives to IFSC to Promote Investment and Employment

The Union Budget 2024 was presented on 23rd July in the Parliament by Finance Minister Nirmala Sitharaman. The Finance Minister has approved many proposed changes in the area of GST and Income Tax and some other changes.

Let’s discuss one of the changes here in this article, which is provided as a measure to promote investment and employment.

Tax Incentives to International Financial Services Centre

International Financial Services Centre (IFSC) is a jurisdiction that provides financial services to non-residents and residents, to the extent permissible under the current regulations, in any currency except Indian Rupee. Several tax benefits have been granted to IFSC units under the Act in recent years to encourage the establishment of world-class financial infrastructure in India.

In order to further incentivize operations from IFSC, it is proposed to make the following amendments:

(i) Finance Act, 2023 amended the provisions of section 68 so as to provide that the nature and source of any sum, whether in the form of loan or borrowing, or any other liability credited in the books of an assessee shall be treated as explained only if the source of funds is also explained in the hands of the creditor or entry provider. However, this additional onus of proof of satisfactorily explaining the source in the hands of the creditor, would not apply if the creditor is a well-regulated entity, i.e., it is a Venture Capital Fund (VCF) or Venture Capital Company (VCC) registered with SEBI. Section 68 accordingly makes a reference to the definition of VCF/VCC in the Explanation to clause (23FB) of section 10.

(ii) It is now proposed to extend the relaxation in place for VCFs registered with SEBI, to those VCFs which are regulated by IFSCA. It is, therefore, proposed to amend the definition of VCF in the Explanation to clause (23FB) of section 10, to include VCFs in IFSC.

These amendments will take effect from the 1st day of April 2025 and will, accordingly, apply in relation to the assessment year 2025-26 and subsequent assessment years.