India-France Tax Treaty Overhaul: New Capital Gains, Dividend Tax Rules Reshape Cross-Border Investment

February 23, 2026
India-France Tax Treaty Overhaul: New Capital Gains, Dividend Tax Rules Reshape Cross-Border Investment
  • The protocol incorporates BEPS measures, including the Principal Purpose Test, updated dependent agent PE rules, enhanced information exchange, and new assistance in tax collection.

  • Fees for Technical Services are redefined to align with the India-US DTAC, and a new Service Permanent Establishment provision taxes service income in India beyond defined thresholds.

  • The Service PE expands the PE scope to cover foreign enterprises whose employees provide services in India for a defined period, increasing the cross-border service tax base.

  • Exchange of Information provisions are updated and a new Assistance in Collection of Taxes article is introduced to strengthen mutual tax cooperation.

  • The protocol grants full taxing rights on capital gains from the sale of shares to the country of residence of the company.

  • The article cites reporting by Reuters journalist Nikunj Ohri.

  • The changes were announced in New Delhi on February 23, 2026, with Reuters reporting the development.

  • The protocol integrates BEPS Multilateral Instrument provisions applicable to India and France.

  • BEPS-related measures, including the Principal Purpose Test and anti-fragmentation rules, are incorporated into the DTAC.

  • India and France overhauled their DTAC to broaden India’s taxing rights on capital gains and introduce a differentiated dividend tax structure, signaling a strategic shift in cross-border taxation and investment planning between the two nations.

  • Dividend income will be taxed at 5% for shareholders owning at least 10% of a company and 15% for all other investors.

Summary based on 13 sources


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