The retrospective tax amendments for the Vodafone case and the General Anti Avoidance Rules, pushed by the Income-Tax Department in the Budget to tackle tax avoidance and perk revenue collections, are, in fact, doing just the opposite, an internal assessment of the department has shown.
A discussion paper on exploring new areas in revenue mobilisation, prepared for the two-day annual conference of chief commissioners and directors general of income tax held on June 11 and 12, says: "Retrospective tax changes due to the apex court decision on Vodafone, and GAAR provisions, are dampening the sentiments of non-resident