The Indian Income Tax Appellate Tribunal pronounced an interesting decision. This article examines the facts, the arguments, the statutory and treaty provisions.
You can read full article from here:
https://t.co/FBGtKbNxrz
#InternationalTax#TaxLaw#TaxUpdates#TaxTreaty
Upcoming International Tax Webinars Series.
For more details and registration, visit https://t.co/GzNU1D2fax
Download the brochure from here https://t.co/5bix4fzCPR
#internationaltax#treaties#webinars
A landmark decision of the Netherlands Supreme Court involved tax treaty interpretation in the context of the Mutual Agreement Procedure (MAP).
To know the case name, comment “CASE”.
#internationaltax#MAP#taxtreaties#netherlands#belgium
Serious about International Tax?
Join my 10-session live webinar series covering treaties, GAAR & interpretation.
Evening schedule for working professionals.
Early-bird offer live till 8 June.
Details below.
#TaxLaw#InternationalTax#WebinarSeries#CareerGrowth
A recent ITAT ruling that could reshape applicability of Sec. 94B of the Indian Income Tax Act, 1961 and non-discrimination articles in the contemporary tax treaties.
Read more at https://t.co/6yB5MWK1Tk
#InternationalTax#TaxTreaties#Section94B#TaxInsights
Announcing the International Tax Academy.
Built for serious learners—CAs, tax lawyers & CA Final students—seeking true mastery of international taxation through a practitioner-led approach.
Enrolments opening soon.
#InternationalTax#TaxProfessionals#CharteredAccountants#TaxLaw
In the coming days, I will be sharing more about something my team and I have been preparing for serious learners of international taxation.
If this is a path you are serious about, it would be worth staying tuned.
#InternationalTax#TaxProfessionals#CrossBorderTax#TaxLaw
We’ve started a curated WhatsApp group for tax professionals in international tax, M&A tax, and corporate tax. You can join the by either scanning the QR code or by clicking on the link: https://t.co/pwvZgpivDO
#Tax#InternationalTax#MergersandAcquisitions#CorporateTax
Can Sec. 72A negate applicability of Section 41(1) under the Income Tax Act? Recently discussed that, and a landmark Indian Supreme Court judgment, in an detailed article.
Read More: https://t.co/TWk35rwESV
#TaxUpdate#Mergers#IncomeTax
In a landmark decision, a Netherlands court has recently ruled on the interpretation of tax treaties in the context of the Mutual Agreement Procedure (MAP).
You can read full article from here: https://t.co/Jd9up1GNeP
#interantionaltax#netherlands#mutualagreementprocedure
The MFN clause saga: revised Swiss position on India-Switzerland tax treaty. I am glad to share a note that we had prepared.
#internationaltax#taxtreaties#MFN
An interesting decision in the current judicial landscape in the international taxation domain.
You can read full article from here: https://t.co/4yy9RfLqbR
#Internationaltax#GAAR#LOB#taxtreaties#itat
Can tax authorities treat sale of shares of a wholly owned Indian subsidiary as ‘slump sale’?
For full read, checkout the detailed analysis from this link:
https://t.co/on8HnqH4Ml
#IndiaTax; #Slumpsale,
A detailed perspective on the important decision in the Reckitt Benckiser case and its legal interpretation by the ITAT
For full read, checkout the detailed analysis from this link: https://t.co/IbFPiN9mqx
#itat#demerger
A detailed look at the Hyatt International Decision and its implication on Permanent establishment in tax treaties
The full article can be accessed from this link: https://t.co/87wgRdPPX3
#Internationaltax#permanentestablishment#taxlaw