Section 286 → Section 417
Furnishing of report in respect of international group (Country-by-Country Reporting - CbCR)
Quick Answer
Section 286 of the Income Tax Act, 1961 (Furnishing of report in respect of international group (Country-by-Country Reporting - CbCR)) corresponds to Section 417 of the Direct Tax Code 2025 (Income-tax Act, 2025), effective 1st April 2026. Status: Retained.
Sec 286
Provision Summary
Requires massive multinational groups to file a CbCR detailing their global allocation of income, taxes, and indicators of economic activity.
Sec 417
Provision Summary
Retained. The backbone of India's compliance with OECD BEPS Action 13.
Key Changes & Highlights
- Data is automatically exchanged with treaty partners to detect global profit shifting.
Related Sections
Frequently Asked Questions
What does Section 286 of the Income Tax Act 1961 deal with?
Section 286 (Furnishing of report in respect of international group (Country-by-Country Reporting - CbCR)) Requires massive multinational groups to file a CbCR detailing their global allocation of income, taxes, and indicators of economic activity.
What is the new section number for Section 286 under the Direct Tax Code 2025?
Section 286 of the ITA 1961 maps to Section 417 of the Direct Tax Code 2025 (Income-tax Act, 2025), effective from 1st April 2026.
What is the status of Section 286 under the new tax code?
Section 286 is marked as "Retained" with status "Active". Impact: Critical - Governs the global tax compliance of companies like Reliance, Tata, and foreign tech giants.
What are the key changes to Section 286 under DTC 2025?
Data is automatically exchanged with treaty partners to detect global profit shifting.
Disclaimer: This page is for educational and reference purposes only. Section mappings are based on publicly available drafts and circulars. Always consult a qualified Chartered Accountant before filing or making compliance decisions under the Direct Tax Code 2025.
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