An exclusive webinar on the recent Supreme Court ruling in the case of Tiger Global. In a much-awaited ruling, the SC has upheld the denial of tax treaty benefits to a Mauritius based investment company applying General Anti Avoidance Rules (GAAR) provisions. This path breaking ruling is likely to have far reaching implications not only on capital gains taxability, but also on the larger issue of tax treaty entitlement of multinational companies earning any income from India.


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      Himanshu Parekh

      Partner and Head of Tax (West)

      KPMG in India

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