March’s budget introduced India’s first advance pricing agreement (APA) regime and also saw the inclusion of
domestic transactions into the country’s transfer pricing laws. Karishma Phatarphekar and Shefali Shah of Grant
Thornton India and Arun Chhabra of Walker Chandiok & Associates run through the changes and offers
case studies on how best to cope with the amendments.
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The OECD’s project was up for debate as Matt Williams spoke to ITR following BDO’s tax strategist survey, which uncovered increased complexity and costs among multinationals
Jean-Michel Henry and Mona El-Begawi of Deloitte Luxembourg examine the complexities created by timing differences in Luxembourg, EU, and OECD tax regimes