As per Section 206C(1G) of Income Tax Act, inserted with effect from 01.04.2020, Authorised dealer are liable to collect TCS @ 5% on foreign remittance made under Liberalised Remittance Scheme (LRS) where remittance amount exceeds INR 7,50,000 during a year. However, seller of overseas tour program package shall be liable to collect TCS @ 5% without any threshold limit.
Finance Act, 2023 amended the provisions of Section 206(1G) to increase the rate of TCS from 5% to 20% for remittance under LRS as well as purchase of tour program packages and removed the threshold limit of INR 7,50,000. However, such changes does not apply when remittance is made for education or medical purpose.
Department received various comments about practical difficulties being faced in implementation of revised provisions and therefore, CBIC issued the following clarification for practical issues being faced through Circular No. 10 of 2023 dated 30th June, 2023:
The Liberalised Remittance Scheme is a policy formed by the Reserve Bank of India since 2004 to make it easier for people to send money abroad from India. Here are some points of LRS.
Clarification: As per press release dated 28th June, 2023, the classification of use of international credit card while being overseas, as LRS is postpoed. Therefore, no TCS shall be applicable on expenditure through international credit card while being overseas till further order.
Clarification: CBIC has clarified that the threshold of Rs 7 lakh for LRS is combined threshold irrespective of the purpose of the remittance. Same is clarified from first proviso to Secton 206C(1G) of the Act as well. As per the proviso, TCS is not required if the amount or aggregate of the amounts being remitted by a buyer is less than INR 7,00,000 in a financial year. Since the old exemption of INR 7 lakhs has been restored by press release, therefore, threshold continues shall apply post amendment as well.E.g.:1. Education Remittance: INR 7 Lacs2. Remittance for Medical purpose: INR 7 lakhs3. Other purpose: INR 7 Lakhs4. In given case, remittance upto Rs 7 lakh under LRS during a financial year shall not be liable for TCS. However, subsequent Rs 14 lakh remittance under LRS shall be liable for TCS in accordance with the TCS rates applicable for such remittance. 5. Further, TCS rates for the remaining Rs 14 lakh remittances under LRS would depend on the time of remittance as TCS rates are changing from 1st October, 2023.
Clarification: No. The threshold of Rs 7 lakh shall apply for the full financial year. lf this threshold has already been exhausted; all subsequent remittances under LRS, whether in the first half or in the second half, would be liable for TCS at applicable rate.
Clarification: Department has clarified the threshold of Rs 7 lakh is qua remitter and not qua authorised dealer. Since the facility to provide real time update of remittance under LRS by remitter is still under development by the RBl, details of earlier remittances under LRS by the remitter during the financial year may be taken by the authorised dealer through an undertaking at the time of remittance. lf the authorised dealer correctly collects the TCS based on information given in this undertaking, he will not be treated as "assessee in default". However, for any false information in the undertaking, appropriate action may be taken against the remitter under the Act. Further, same methodology of taking undertaking from the buyer of overseas tour program package may be followed by the seller of such package.
Clarification: Yes, these two thresholds apply independently. For LRS, the threshold of Rs 7 lakh applies to make TCS applicable. For purchase of overseas tour program package, the threshold of Rs 7 lakh applies to determine the applicable TCS rate as 5% or 20%.
Clarification: ln case of purchase of overseas tour program package (even through classified under LRS), TCS provision for purchase of overseas tour program package shall apply and not TCS provisions related to LRS.Therefore, in given case, TCS shall be collected at 5% since the total amount spent on purchase of overseas tour program package during the financial year is less than Rs 7 lakh.
Clarification: The term 'overseas tour program package' means any tour package which offers visit to a country or countries or territory or territories outside lndia and includes expenses for travel or hotel stay or boarding or lodging or any other expenditure of similar nature or in relation thereto.Therefore, purchase of only international travel ticket or only hotel accommodation, by itself is not covered within the definition of 'overseas tour program package'. To qualify as 'overseas tour program package', the package should include at least two of the followings:- (i) international travel ticket, (ii) hotel accommodation (with or without food)/boarding/lodging, (iii) any other expenditure of similar nature or in relation thereto. .