India Repatriation Planner
Four legal routes move money from an Indian subsidiary to its foreign parent, and the tax treatment differs by route and by treaty country. Pick your country and see the comparison.
Indicative planning figures only, not tax advice. Rates shown are the commonly applied treaty ceilings or domestic base rates before surcharge and cess where applicable, and treaty relief depends on eligibility, a tax residency certificate, Form 10F and beneficial ownership. Buyback proceeds are taxed in shareholder hands as deemed dividend for buybacks after 1 October 2024. Rates as understood at last review on 5 August 2026, pending verification by our associated Chartered Accountant practice. Confirm current rates with our team before acting.