Areas of Practice
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India-Mandatory Submission of Tax Residence Certificate for claiming tax treaty relief by non-resident assessees

Section 90 (4) of the Income Tax Act, 1961 (hereinafter “Act”) provides that an assessee, not being a resident, to whom an Double Taxation Avoidance Agreement applies, shall not be entitled to claim any relief under…more

Establishment of Branch/Liaison/Project Office in India

The Central Bank of India has clarified that foreign (Non Government Organisations, Non-Profit Organisations, Foreign Government Bodies/Departments)by whatever name called needs to obtain prior permission of Reserve Bank of…more

Sale of Shares by Mauritius Company in respect of indian assets treated as sold by 100% holding company located in USA

Attaching herewith my analysis of landmark judgment dated July 14, 2011 pronounced by Hon’ble Bombay High Court in the matter of sale of shares of JV company “Idea Cellular Limited” during year 2005 by AT&T,…more

Comparison Chart for Costs relating to FZE/FZC in 5 Free Zones of UAE

Dear Professionals, I have tried to summarize the cost and other relevant parameters in relation to formation of Free Zone Establishment/Free Zone Company (Type of Companies) in 5 prominent free zones of UAE. Regards…more


India now permits holding of meetings of board/committee by way of electronic mode i.e. through video conferencing…more

Conditions for UAE Tax Residence

Conditions for UAE Tax Residence. Tax Residence Certificates are issued to provide relief under Double Tax Avoidance Agreement with respective country…more
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