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Sudin Sabnis (Nangia Andersen LLP), Rukshana Irani
Retro Tax - Attempt to bury the Ghost, Better late than Never!
August 23, 2021

In one of the significant and eye-catching moves by the Indian government, the controversial law on retrospective tax on indirect transfer of shares representing assets held in India was withdrawn…

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Mukesh Butani (Managing Partner at BMR Legal), Seema Kejriwal, Ajitesh Dayal Singh (BMR Legal)
India’s Supreme Court finally settles a two decade old dispute on software taxation
March 24, 2021

Mukesh Butani, Seema Kejriwal & Ajitesh Dayal Singh Introduction The Supreme Court of India recently settled a two-decade old dispute pertaining to taxability of software income. The Supreme…

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Mukesh Butani (Managing Partner at BMR Legal), Seema Kejriwal, Ajitesh Dayal Singh (BMR Legal)
Budget 2021: India Defines “Liable to Tax” – Will It Facilitate or Fuel the Debate on Interpretation of Tax Treaties?
February 15, 2021

Introduction India’s 2021 Finance Bill proposes to add a definition of “liable to tax” in its domestic direct tax law. As per the definition, the term ‘liable to tax’, “in relation to a person, means…

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Mukesh Butani (Managing Partner at BMR Legal), Tarun Jain (BMR Legal)
United States’ 301 findings on India’s Equalisation Levy – What next!
January 20, 2021

Introduction One of the key reasons highlighted by OECD imploring the urgent need for consensus on digital tax under its Inclusive Framework were the repercussions arising on account of unilateral…

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Mukesh Butani (Managing Partner at BMR Legal), Tarun Jain (BMR Legal)
India’s Dividend Distribution Tax: An Anomaly Outside Tax Treaties!
October 23, 2020

In international customary law, the scope of bilateral tax conventions is not exhaustive and instead limited by the temporal scope set out in ‘taxes covered’ clause. It is true that the scope of such…

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Tarun Jain, Shankey Agrawal (BMR Legal)
Investment Treaties Interjecting Taxation’s Realm: The Latest in Vodafone’s India Saga
October 13, 2020

Last month witnessed the release of the operative part of the award of the Permanent Court of Arbitration (‘PCA’) in the dispute initiated by Vodafone’s Dutch entity against Government of India (‘GOI…

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Jonathan Schwarz (Temple Tax Chambers; King’s College London)
What’s the score? What is the source of World Cup income?
August 25, 2020

Those with a long memory for cricketing events may remember the 1996 World Cup hosted jointly by India, Pakistan and Sri Lanka. The winner, Sri Lanka, made 398 runs for 5 wickets, in a one-day…

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Shilpa Goel (Tax Lawyer)
Import of goods, revaluation and natural justice
May 12, 2020

I am currently working on a case that involves questions of huge significance when it comes to related-party transactions and customs valuation. It is always good to begin with a caveat and I have…

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Subhash Jangala (DCIT, Foreign Tax and Tax Research Division, Government of India)
Super Power or Super Haven - Part I
April 23, 2020

It is widely accepted that the United States of America is one of the most litigious countries on earth. As of 2010, US residents spent about 2.2% of their GDP (approximately 310 Billion Dollars)…

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Amrit Singh (Nirma University)
Payment Towards Cloud Hosting Services: Whether It Constitutes Royalty?
February 21, 2020

In my previous post, I had discussed the judgment delivered in the case of Elsevier Information Systems Gmbh v. Dy. Commissioner of Income Tax which discussed the liability of the taxpayer when it…

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