Fleming Indian Investment Trust PLC
6 April 2000
The Fleming Indian Investment Trust plc
The Company has been notified by the Indian Tax
authorities that, for the financial year ended
March 1997, its subsidiary, Fleming Indian
Investment Co. (Mauritius) Limited, is to be
denied the benefits of the double taxation treaty
between India and Mauritius. Yesterday those
same tax authorities are reported as putting on
hold any further action against Mauritius based
investment companies pending a detailed
examination. Clearly the situation is confused. In
any event the Directors strongly disagree with
the basic contention that Fleming Indian
Investment Company (Mauritius) Limited is not a
resident of Mauritius and intend to use the full
appeal process to refute the Indian Tax authorities'
claim.
Should Fleming Indian Investment Company
(Mauritius) Limited be denied the benefits available
under the double taxation treaty between India and
Mauritius it would be assessed as liable to
Indian Tax on its capital gains. The Board has
received advice from its tax advisors, Arthur
Andersen, that, for the financial year to 31st
March, 1997, no capital gains tax liability has
arisen.
The Company will make a further announcement when
the situation has been clarified. The Company's
net asset value is published daily and the Board
have been advised that no adjustment is required at
this stage.
Fleming Investment Trust Management Limited -
Secretary 6th April, 2000
Linda Field - London 0171 880 3426
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