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India

Landmark legal updates in India have led companies to prioritise specialised tax advisers over accountants, ITR has found
As GCCs increasingly become strategic hubs, multinationals face heightened risks around permanent establishment and place of effective management
The amended double taxation avoidance agreement removes France’s most favoured nation status for tax treaty benefits
The landmark Indian Supreme Court judgment redefines GAAR, JAAR and treaty safeguards, rejects protections for indirect transfers and tightens conditions for Mauritius‑based investors claiming DTAA relief
Sponsored

Sponsored

  • Sponsored by Deloitte Transfer Pricing Global
    The OECD’s work around the digitalisation of the economy is proceeding at a rapid pace and many multinational enterprises may be surprised at the scope of changes to the international tax framework. These changes could impact all larger multinationals, not just those that consider themselves part of the digital economy.
  • Sponsored by Deloitte Transfer Pricing Global
    The technology, media and telecommunications (TMT) sector may be directly affected by the G20/OECD digital economy tax proposals. Sajeev Sidher and Kaidi Liu of Deloitte Tax LLP look at the uncertainties ahead.
  • Sponsored by Deloitte Transfer Pricing Global
    Aengus Barry and Sérgio Moreno of Deloitte UK analyse the tax proposals against the energy and resources sector, a clear example of a sector not often seen as ‘digital’ but for which the digital tax could have great implications.