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  • India's competent authority has criticised the UN's reliance on the OECD's Transfer Pricing Guidelines in its practical manual on transfer pricing for developing countries.
  • A measure introduced in March's Finance Bill will enhance the powers of transfer pricing officers (TPOs) to audit international transactions which have not been referred by assessing officers (AOs), possibly because of non-disclosure by taxpayers.
  • Srivastava expects more cases to be won by the tax department at the Supreme Court
  • March’s Finance Bill revealed further details of India’s plans to introduce a GAAR. Aseem Chawla of Amarchand & Mangaldas analyses the fine print of the GAAR.
  • Vodafone is continuing its fight with India and has threatened to take the country’s government to international arbitration.
  • 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.
  • Companies must meet some difficult challenges to remain compliant with India’s tax regime. The separate federal and state tax regulations, the aggressive attitude of tax authorities and the tendency for disputes to result in litigation all require close attention from taxpayers. Joe Dalton finds out how Indian tax directors meet these challenges and what the best structure for an Indian tax department is.
  • UK employers have a year to go before the tax authorities’ system of real-time information (RTI) reporting goes live.
  • The defeat has hit Essar hard Source: Essar Essar Energy, of India, reported a loss of $568.2 million for 2011 after a tax ruling that went against the company. However, the company is challenging the decision.
  • India's Authority for Advance Rulings (AAR) has held that a proposed buy-back of shares held by a Mauritian shareholder in an Indian company is a tax avoidance scheme and should be taxable as a dividend.