International tax

  • Analysing cross-order arrangements in terms of the Indian tax law and the tax treaties
  • Assessing Permanent Establishment (PE) exposure and remodelling
  • Undertaking risk assessment of business arrangements in view of anti-tax avoidance laws under the Indian tax laws and the tax treaties
  • Evaluating business arrangements in light of on-going developments under Base Erosion and Profit Shifting (BEPS)
  • Advising on secondment/ deputation structures
 
     
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