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Melanie Massant (KU Leuven)
Lowy: the first PPT-case
March 24, 2025

On December 30th of last year, the Indian Income Tax Appellate Tribunal was the first “quasi judicial institution” to apply the PPT to a treaty-shopping arrangement.[1] The case concerned a dispute…

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Dhruv Janssen-Sanghavi, Anirudh Srinivasan
Some Reflections on the Swiss Response to the Indian MFN Position in Nestlé
December 30, 2024

Switzerland has suspended the application of the most favoured nation clause contained in the protocol to its 1994 tax treaty with India. This was done in response to the Supreme Court of India’s…

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Mukesh Butani (Managing Partner at BMR Legal), Shankey Agrawal, Shreya Wadhara (BMR Legal)
Anti-profiteering Provisions under Indian GST: Despite Judicial Blessing, the Government must reconsider its stance
March 12, 2024

Introduction The anti-profiteering law[1] under the Goods and Services Tax law (‘GST’) in India has been a subject matter of debate since the time GST was introduced. More than a hundred petitioners…

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Mukesh Butani (Managing Partner at BMR Legal), Seema Kejriwal, Pranoy Goswami (BMR Legal)
A domino peer at India’s Interim Budget 2024: Lynchpins, headwinds and prospects for the future
February 13, 2024

Buoyed by a transcendental approach to propel India towards “all-round, all-pervasive, and all-inclusive development”[1], India’s Finance Minister, Ms Sitharaman heralded the interim budget,…

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Mukesh Butani (Managing Partner at BMR Legal), Seema Kejriwal (BMR Legal)
India’s Budget 2023 – A move towards trust-based governance
February 03, 2023

In the ruling administration’s last full budget before India goes to the polls, India’s Finance Minister, Ms Sitharaman, laid out the government’s vision - “Making India a technology-driven and…

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Seema Kejriwal (BMR Legal), Mukesh Butani (Managing Partner at BMR Legal)
India announces its budget proposals for 2022-23
February 02, 2022

When India’s Finance Minister rose before the Lok Sabha (House of Commons) on 1st Feb, 2022 to present her budget for India’s fiscal year 2022-23 (April 1, 2022 to March 31, 2023), she compressed the…

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Sudin Sabnis, Yogesh Kale (Nangia Andersen LLP)
Common Interpretation – it’s Time to Make it Common
October 13, 2021

Though India has been having tax treaties with over 90 countries across the globe for several decades now, interpretation of various provisions of the treaties continues to be a subject matter of…

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Mukesh Butani (Managing Partner at BMR Legal), Seema Kejriwal (BMR Legal)
Global Experts debate Landmark Indian Ruling on Software Taxation
October 08, 2021

  A conversation on International Tax Practice culminated into an IFA webinar series on May 20th with global experts sharing their perspectives on landmark treaty and transfer pricing rulings…

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Jonathan Schwarz (Temple Tax Chambers; King’s College London) for Delaware law, habitual exercise
Permanent Establishment: when is business carried on?
September 03, 2021

Last month my blog discussed the questions relating to corporate residence and article 4(1) of the UK-US Double Tax Treaty raised in G E Financial Investments v HMRC  [2021] UKFTT 210 (TC). This…

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Seema Kejriwal (BMR Legal), Mukesh Butani (Managing Partner at BMR Legal)
Global Experts debate Landmark Transfer Pricing Cases in IFA Webinar
August 31, 2021

  On 20 May, 2021 the first Webinar of IFA’s online series “A conversation on International Tax Practice” was held. Chaired by Robert Danon (Chair IFA Permanent Scientific Committee), global…

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