Cairn faces a potential tax demand on an alleged Rs 24,500 crore of capital gains it made when in 2006-07 it transfered all its India assets to a new company, Cairn India.
It said none of the transactions undertaken by it during that fiscal were chargeable to tax in India.
Its wholly owned subsidiary, Cairn UK Holdings Ltd "filed a nil return for the year in question on the grounds that none of the transactions undertaken by it during that fiscal year is chargeable to tax in India," the company said in a statement.
In addition, Cairn has received two further notices from the Indian Income Tax Department.
"The first, dated March 29, 2014, is a request made to Cairn Energy plc to file a tax return for the fiscal year ended 31 March 2007.
“Cairn intends to file a nil return for this notice.
"The second, dated March 31, 2014, claims that CUHL should have withheld tax on dividends paid to its parent company, Cairn Energy plc," it said.
Stating that no tax demand has been raised, Cairn said it ‘intends to respond to the notice refuting this claim’.
"Throughout its history of operating in India Cairn has been compliant with the tax legislation in force in each year.
Cairn has stated that it intends to take whatever steps are necessary to protect the company's interests," the statement said.
The I-T Department has restrained Cairn from selling its residual 10.3 per cent stake, worth over $1
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