Case Study
Faq Esop DPIIT TDS Deferral
Landmark Court Judgment Analysis
Faq Esop DPIIT TDS Deferral needs detailed legal review and fact-matching before you rely on it. Compare top compliance and legal experts on the WorkIndex work index.
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Official-source cautious
India specific
Dispute Details
Facts & Lower Court History
- Facts: Indian employees of multinational corporations received RSUs or ESOPs of foreign parent companies, and faced tax disputes regarding perquisite valuation and double taxation.
- Lower Court History: Various ITAT benches resolved disputes on whether the vesting creates taxable perquisite in India, and how Foreign Tax Credit (FTC) is computed.
- Key Issues: How to value foreign shares for perquisite tax, and whether failure to report these assets in Schedule FA triggers the Black Money Act penalty.
Court Ratio
Legal Principles & Ratio Decidendi
- Perquisite Taxation: The value of RSUs/ESOPs is taxed as salary perquisite under Section 17(2) based on the FMV of the shares on the date of exercise/vesting.
- Foreign Tax Credit (FTC): Under DTAA, employees are entitled to claim credit for taxes paid abroad on the same shares, subject to filing Form 67.
- Schedule FA Penalty: Failure to report foreign assets/shares in the ITR triggers a mandatory ₹10 lakh penalty under the Black Money Act, even if no tax was evaded.
Key Evidence
Agreements & Filings Evaluated
- Vesting & Exercise Statements: Documentation showing the number of shares vested, date, and FMV in foreign currency.
- Form 16: Salary certificate showing the perquisite value included and taxed in India.
- Form 67 & TRC: Proof of tax deducted abroad and treaty residency filings.
Action Points
Practical Mitigation & Compliance Steps
- Declare in Schedule FA: Ensure all foreign shares, RSUs, and stock accounts are reported in Schedule FA of the ITR-2 or ITR-3.
- File Form 67 Timely: File Form 67 online before the ITR due date to secure the Foreign Tax Credit and avoid disallowance.
- Reconcile FMV: Obtain certified valuation reports for unlisted foreign shares to avoid perquisite valuation disputes.