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LEAD ARTICLE

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Sponsored by Lakshmikumaran & Sridharan
Raghav Rajeev and Nimrah Ali of Lakshmikumaran & Sridharan analyse the approaches taken by taxpayers and Indian judicial bodies on contested tax payments under the country’s goods and services tax law
November 21, 2025
  • Sponsored by Garrigues Portugal
    A country's tax policy is reflected in its domestic tax legislation as well as its tax treaty positions.
  • Sponsored by Garrigues Portugal
    Portugal has historically favoured source-based taxation on passive income, which has been coupled with stringent documentation requirements to claim the application of tax treaties (the so-called RFI forms). The Portuguese tax authorities have recently published a new set of procedural forms, this time to apply the transitional regime under the interest and royalties directive (council directive 2003/49/EC). Those developments provide a good pretext to outline the current state of play concerning outbound interest and royalty payments.
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