Pushpendra and Moazzam Hussain INTRODUCTION The distinction between capital and revenue expenditure is among the most enduring fault lines in Indian income-tax jurisprudence. This uncertainty becomes particularly acute in the context of non-compete fee which is a standard feature of corporate transactions. Non-compete covenants are commercially pivotal as they preserve deal value by preventing the […]
Tag: Taxation
Vedansh Raj Introduction The recent removal of the Most Favoured Nation (“MFN”) clause by the Australian Government in double taxation avoidance agreements, effective in India from January 1, 2025, is strange in the international taxation regime’s practices. This decision unbalances the double taxation structure and poses unique challenges to the new digital economy. This was […]
’21 Week 12 (19/03 – 26/03)
This week saw major developments in the legal arena with the Supreme Court of India deciding on multiple important cases such as the Tata Sons case and the Parliament passing the Government of National Capital Territory of Delhi Bill. We shall be travelling from India to New Zealand, Turkey and the United States to view various developments in policy, arbitration and intellectual property. Happy Reading!
Adesh Sharma & Saksham Shrivastav As the world adjusts to a faceless pandemic, India has introduced a major overhaul of its direct taxation regime by erasing physical interface along with jurisdictional boundaries and introducing a faceless tax assessment and appeals system in its place. On August 13th, the Prime Minister launched the new Transparent Taxation […]
