Nokia’s tax troubles in Indian only seem to worsen. While the transfer of Nokia India’s Chennai factory to Microsoft with which it announced a $7.2-billion deal in September 2013 has been virtually thwarted by court-imposed stringent conditions, the income tax (I-T) department has now ordered a special audit of the accounts of the Finnish handset manufacturer’s local subsidiary for assessment year 2010-11.
The special audit against Nokia India would be a comprehensive one, as the department suspects “considerable suppression” of income by the firm, sources said. Scrutiny of transactions between Nokia India and Nokia Finland will be part of the audit, they added.
Nokia India’s troubles with Indian tax authorities began last year when the department initiated a probe against the company for making remittances to its parent company as “payment for supplying software” since 2005-06. Since then, the tax demand on the company has risen to a massive R21,000 crore.
Additionally, Nokia is grappling with another R2,400-crore value-added tax notice slapped by the Tamil Nadu government.
Sources said the special audit under Section 142 (2A) of the Income Tax Act has been initiated on the grounds that “there are several defects, anomalies, discrepancies and irregularities” (in the accounts of Nokia India). As per the company’s profit and loss account for assessment year 2010-11, it declared gross receipts of R26,000 crore against which expenses of approximately R25,000 crore have been claimed. The taxable income stated by the company in its return for the said year amounted to R694.97 crore.
The department, after granting the local handset manufacturer an opportunity to state its case against a notice stating why a special audit can’t be initiated, dismissed its contentions and passed an order on March 28 deputing a reputed chartered accountancy firm to carry out the audit, asking it to complete the same in 120 days.
As reported by FE earlier, in an order on March 15, the Supreme Court upheld the Delhi High Court’s December 12 order imposing 16 conditions for the transfer of the Chennai plant to Microsoft.
The apex court also asked to tell in detail and convincingly of the valuation of the unit and upheld the HC’s order asking Nokia India to deposit R2,250 crore in an escrow account and its Finnish parent to guarantee payment of up to a maximum of R3,500 crore in taxes, pending resolution of the dispute over the Indian firm’s tax liability.
Nokia India had sought