Rules for minimum remuneration notified for Indian managers of offshore funds to qualify for exemption from taxable presence in India
I’m leaving on a Jet Plane (or maybe not!): CBDT clarifies tax residency for people trapped in India
Back to the Future: Restoring the Mauritius Route for FPI investments
ITAT on the Taxability of Transfer of Know-how Under Development
The Dilemma of Dual Residence – Can Vital Interests Fluctuate Overnight?
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