Statutory obligations

Software Technology Park scheme

We have set up Software Technology Parks (STPs), which are 100% export-oriented units, for the development of software at Bangalore, Bhubaneswar, Chandigarh, Chennai, Hyderabad, Mangalore, Mysore, Pune and Thiruvananthapuram (all in India). Certain capital items purchased for these centers are eligible for 100% customs and excise duty exemption, subject to fulfillment of stipulated export obligations, which was five times the value of duty-free imports of capital goods, or duty-free purchase of goods subject to excise, over a period of five years on a yearly basis. Beginning April 2001, the export obligation on duty-free import of capital goods, or duty-free purchase of goods subject to excise is thrice the value of such goods over a period of five years. Beginning April 2002, the export obligation on duty-free import of capital goods or duty-free purchase of goods subject to excise is thrice the value of such goods over a period of three years. Beginning April 2003, the units are required to achieve positive Net Foreign Exchange earnings (NFE) only. The period to achieve the net positive NFE is five years from the date of commencement of production / renewal of the license for the unit.

The non-fulfillment of export obligations or positive net foreign exchange earnings (NFE) may result in penalties as stipulated by the government, which may have an impact on future profitability.

We have fulfilled our export obligations and achieved a positive net foreign exchange earnings for all our operations under the Software Technology Park scheme.

Special Economic Zone scheme

Our first Special Economic Zone (SEZ) unit, became operational at Mahindra World City (a private multi-product Special Economic Zone), Chennai, in the financial year 2005-06 and our second SEZ Unit in this SEZ become operational during the financial year 2010-11, with a total approved area of about 129.00 acres. We established our SEZ unit at Chandigarh (Rajiv Gandhi Chandigarh Technology Park), with an approved area of about 30.21 acres, in the financial year 2006-07. During the financial year 2007-08, SEZ units were established in Pune and Mangalore, with an approved area of about 77.81 acres and 305.58 acres respectively. During the financial year 2009-10 our SEZ unit at Thiruvananthapuram, with an approved area of about 50 acres, commenced production. During the financial year 2010-11 we have commenced our operations at SEZ units in Mysore and Hyderabad, with an approved area of about 54.64 acres and 447.33 acres respectively. The SEZ Units came into existence under the new Special Economic Zones Act, 2005 (‘the SEZ Act’).

As per the SEZ Act, the unit will be eligible for a deduction of 100% of profits or gains derived from the export of services for the first five years from commencement of provision of services and 50% of such profits or gains for a further five years. Certain tax benefits are also available for a further five years, subject to the unit meeting defined conditions. Other fiscal benefits including indirect tax waivers are being extended for setting up, operating and maintaining the unit.

The units operating under the SEZ scheme are required to achieve positive net foreign exchange earnings (NFE) over a period of five years from the date of commencement. We have achieved positive foreign exchange earnings for all our operations under the SEZ Scheme. However, in case of SEZ’s operationalized during the year, the positive foreign exchange earnings will be met in the future.

Taxation

We benefit from certain significant tax incentives provided to the software industry under Indian tax laws. These currently include :

(i) deduction of export profit from the operation of software development facilities designated as Software Technology Parks (the STP tax deduction) and

(ii) deduction of export profits from units in Special Economic Zones.

The period for which STP tax deduction is available to each STP was restricted to ten consecutive years, starting from the financial year when the unit started producing computer software or March 31, 2011, whichever is earlier.

The details regarding the commencement of operations at our STP locations and the year up to which the deduction under the STP scheme was availed are as follows :

 

Software Technology Park

Year of commencement(1)

Tax exemption

 
Claimed from(1)
Available up to(1)

Infosys

Electronics City, Bangalore

1995

1997

2004

Mangalore

1996

1999

2005

Pune

1997

1999

2006

Bhubaneswar

1997

1999

2006

Chennai

1997

1999

2006

Phase I, Electronics City, Bangalore

1999

1999

2008

Phase II, Electronics City, Bangalore

2000

2000

2009

Hinjawadi, Pune

2000

2000

2009

Mysore

2000

2000

2009

Hyderabad

2000

2000

2009

Chandigarh

2000

2000

2009

Sholinganallur, Chennai

2001

2001

2010

Konark, Bhubaneswar

2001

2001

2010

Mangala, Mangalore

2001

2001

2010

Thiruvananthapuram

2004

2004

2011

Infosys BPO

Phase I, Electronics City, Bangalore

2002

2002

2011

Pune

2003

2003

2011

Phase II, Electronics City, Bangalore

2005

2005

2011

Jaipur

2006

2006

2011

Gurgaon

2006

2006

2011

Chennai

2004

2004

2011

(1) Financial year

The details regarding the commencement of operations at our SEZ locations and the year up to which the deduction under the SEZ scheme is available are as follows :

 

Special Economic Zone

Year of commencement(1)

Tax exemption

 
Claimed from(1)
Available up to(1)

Infosys

Mahindra City – unit 1, Chennai

2006

2006

2020

Chandigarh

2007

2007

2021

Mangalore

2008

2008

2022

Pune

2008

2008

2022

Thiruvananthapuram

2010

2010

2024

Mysore

2011

2011

2025

Hyderabad

2011

2011

2025

Mahindra City – unit 2, Chennai

2011

2011

2025

Infosys BPO

Pune

2007

2007

2021

Jaipur

2008

2008

2022

Gurgaon

2008

2008

2022

(1) Financial year

The benefits of these tax incentive programs have historically resulted in an effective tax rate, well below the statutory rates for us. There is no assurance that the Government of India will continue to provide these incentives.

The government may reduce or eliminate the tax exemptions provided to Indian exporters at any time in the future. This may result in our export profits being fully taxed, and may adversely affect the post-tax profits in the future.

On a full tax-paid basis, without any duty concessions on equipment, hardware and software, our post-tax profits for the relevant years are estimated as follows :

in Rupee Symbolcrore, except per share data

2011

2010

2009

Profit before tax

9,313

7,900

6,894

Less : Additional depreciation on duty waived for certain assets

49

70

90

Reduction in other income

53

49

67

Adjusted profit before tax

9,211

7,781

6,737

Less : Income tax on the above on full tax basis

3,162

2,776

2,400

Restated profit after tax

6,049

5,005

4,337

Restated basic EPS (Rupee Symbol)

105.89

87.74

76.15

Note : The figures above are based on IFRS financial statements. However, it may be noted that this is only an academic exercise. We have provided for income tax in full in the respective years and there is no carried-forward liability on this account.