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BEPS MULTILATERAL INSTRUMENT
Taxman stumps Irish firms, upturns aircraft dealsIreland-based aircraft leasing firms, long favored by Indian airlines, face scrutiny from India's tax department for possibly exploiting ta...
Govt ends easy tax relief for Mauritius-based FPIsThis limitation on third-party countries will be a concern, along with the new requirement to demonstrate that tax relief is not one of the...
Mauritius to amend DTAA with IndiaThe amendment, which is in sync with the ongoing global tax agreement, will discourage existing source-based tax exemptions claimed by the ...
Budget 2024: Measures Modi govt can take to navigate global taxation shiftsInterim budget: India leads the charge in the new era of taxing Multinational Enterprises (MNEs) with the introduction of BEPS 2.0. The Two...
India ratifies OECD's convention to check tax evasionThe multilateral convention is an outcome of the OECD/G20 project to tackle base erosion and profit shifting.
India approves multilateral instrument to curb tax treaty abuseMLI will enable India to modify its tax treaties to curb revenue loss through treaty abuse or BEPS strategies where companies park their pr...
Google tax may be broadened to cover non-digital MNCsThe govt's move to tax non-MNC's could mean any company that merely sells goods or services in India could see domestic taxes of up to 42% ...
Mauritius keeps tax treaty with India outside purview of MLIMauritius has notified 23 of its tax treaties for modification by OECD’s Multilateral Instrument to implement tax treaty-related measures t...
India sings Multilateral Agreements at Paris, now common tax agreement for all investorsOn Wednesday, more than 100 countries including India, signed the OECD multilateral convention in Paris that aims to check cross border tax...
Arun Jaitley to visit Paris next week, sign OECD pact on tax evasionDuring his three-day visit beginning June 7, Jaitley will also attend the OECD Ministerial Council meeting, in which ministers from the OEC...
Cabinet approves signing of BEPS ConventionThe convention implements two minimum standards relating to prevention of treaty abuse and dispute resolution through mutual agreement proc...
Concerns over multilateral instrument - MLIs: A new worry for FPIsMLI is an agreement put out by OECD to stop BEPS, a practice referring to tax avoidance strategies that exploit gaps and mismatches in tax ...
India looking to adopt a common treaty for all investors under BEPSBEPS is a framework adopted by a group of countries to tax multinational companies, who exploit loopholes and shift profits from countries ...
Expect clarity on foreign tax credit in Budget 2016The three main pillars of BEPS are coherence, substance and transparency. And these are likely to reverberate across all changes we will wi...
- India examining how to tax in a digital economy: Akhilesh Ranjan
Akhilesh Ranjan, joint secretary (foreign tax), who led India's initiative in the BEPS project, candidly shared his views on India's plans ...
Unilateral, Bilateral, Multilateral: Winds of change to watch for post-BEPSAs may be discerned from the above implementation of BEPS would require in unilateral domestic tax law changes in several countries.
OECD project will end tax arbitrage by MNCs: Raffaele Russo"The BEPS measures will play out in exactly the same way for all jurisdictions, whether they are high-tax, low-tax or they are no-tax."
OECD unveils BEPS plan to curb tax evasion by MNCsOECD unveiled final plan for 'a comprehensive and coordinated' reform of international tax rules, called BEPS, which will be taken up by G2...
BEPS recommendation: Lower thresholds for permanent establishments may impact MNEs going globalSpecific fragmentation of activities -The original purpose of PE exemptions under Article 5(4) is to cover only preparatory or auxiliary ac...
Country-by-country reporting implementation: not so simple after all!Against that background, the Report on Action 13, released in September 2014, provides a template for MNEs to report for each tax jurisdict...