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Tag: Income-tax act 1961

Bombay HC raises issue over India taxing virtual services

Bombay High Court case sheds light on whether a business in China providing virtual services in India should be taxed in the country

Taxman’s bid to reform prosecution casts shadow over personal data

By Aman Avinav, Phoenix Legal

The Income Tax Bill, 2025, overhauls prosecution for wilful failure to file returns under clause 480, aligned with section 276CCC of the 1961 Act

India’s draft data protection rules

By Priti Suri and Rishi Sehgal, PSA

The taxing conundrum of secondments

By Agrima Awasthi, Shivanshu Sharma and Diksha Singh, Wadhwa Law Offices

Expatriate secondments are crucial for multinationals setting up cross-border operations

Draining the endless swamp of tax disputes

By Aman Avinav, Phoenix Legal

Building on the 2020 success, the government has launched the Direct Tax Vivad Se Vishwas Scheme, 2024

Trust needed for tax simplification

By Seema Kejriwal, BMR Legal

India's July 2024 budget announced a comprehensive review of the Income Tax Act, 1961

Investment prospects for Japanese enterprises in India: Part 2

By Gaurav Dani, Saurav Kumar and Swathi Sreenath, IndusLaw in New Delhi

A comparison of M&A regulatory updates: India

By Shardul Shroff, Iqbal Khan and Ambarish, Shardul Amarchand Mangaldas & Co

Do transfer pricing rules apply to Indian entities?

By Ajit Tolani and Ashish Bhatnagar, Economic Laws Practice

Understanding the realm of tax statutes

By Aseem Chawla and Saurav Sood, Amarchand & Mangaldas & Suresh A Shroff & Co

New anti-avoidance measures

By Pranay Bhatia and Vidushi Maheshwari, Economic Laws Practice

Taxing gaps in slump sales

By Aseem Chawla, Amit Singhania and Jasmeet Singh, Amarchand & Mangaldas & Suresh A Shroff & Co

Tax withholding judgment poses dilemma for businesses

By Pranay Bhatia and Balaji Balasubramanian, Economic Laws Practice

Judgment settles debate on enhanced compensation

By Vivek Vashi, Bharucha & Partners

New tax code provisions may hurt capital markets

By Freddy Daruwala and Prachi Loona, Juris Corp

FCEBs: A new way to borrow overseas

By Shardul Thacker,Mulla & Mulla & Craigie Blunt & Caroe

Applicability of fringe benefit tax to liaison offices in India

By Sumes Dewan and Shradha Puri,KR Chawla & Co

Ruling clarifies obligations for seconded employees

By Sumes Dewan and Shradha Puri,KR Chawla & Co

Offshore deals may be taxable in India

By Sumes Dewan and Shradha Puri,KR Chawla & Co

Interest on convertible debentures is taxable

By Sumes Dewan and Shradha Puri,KR Chawla & Co

Royalty excludes sale of drawings and designs

By Sumes Dewan and Shradha Puri,KR Chawla & Co

Careful structuring reduces tax on foreign companies

By Sumes Dewan and Shradha Puri, KR Chawla & Co

Taxing consultancy services in India

By Sumes Dewan,KR Chawla & Co

Tax changes in budget could impact M&A deals

By Abhixit Singh and Ramandeep Arora,Titus & Co

Supreme Court decision settles double tax question

By Sumes Dewan, KR Chawla & Co

Tax treatment could hurt domestic funds

By Baljit Singh Kalha and Pragya Dhamija,Titus & Co

Tax concessions favour revival of loss-making units

By Baljit Singh Kalha and Durgesh Singh,Titus & Co

Tax treaties can benefit qualified non-residents

By Sumens Dewan,KR Chawla & CO

Hutch-Vodafone may have deep tax implications

By Jasman Boparai, Titus & Co

Permanent establishment costly despite shutdown

By Sumes Dewan, KR Chawla & Co
Priti Suri, Adity Gupta, PSA

Structuring tax efficient private equity investments

By Priti Suri, Adity Gupta, PSA

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