An exclusive webinar on the recently pronounced landmark decision by Bombay High Court (Goa bench) on the contentious issue of whether the rate of DDT applicable on dividend paid by an Indian company to an overseas shareholder is circumscribed by the lower tax rate prescribed under the tax treaty. This session aims to provide an overview of the high court decision and the future outlook on the matter.


      Key contact

      Himanshu Parekh

      Partner and Head of Tax (West)

      KPMG in India

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