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INTERNATIONAL TAXATION, TAX PLANNING AND TAX LITIGATION
Our team dealing with services in this regard consists of qualified chartered accountants, international tax affiliates and lawyers. Our Team of taxations lawyers has extensive experience in dealing with the matters pertaining to International Taxation on the matters such as Withholding Tax obligations in International Transactions, Presentation of Application to tax authority for determination of appropriate portion of sum chargeable under Income Tax Act, Advise on Transfer Pricing, Preparation of Transfer Pricing Reports, advising on and initiation of process for advance pricing agreements, Equalisation levy, Capital Gains for Non-Residents, Tax Treaty Interpretation, GAAR etc. We play a crucial and integral role in advising on structuring of cross border transactions between associated enterprises and independent parties to optimize tax implications within bounds of law.
Our taxation lawyers team having been involved in catering to needs of clients in different spheres ranging from funds, real estate, banking, life sciences and technology etc. enables us to reasonably foresee possible tax issues in a given sphere. Our foresight and client’s explanation of a typical business model adopted by it enable us to advise on structuring transactions with best possible tax implications within bounds of law. We do file applications before Authority of Advance Ruling for tax liability arising out of transaction undertaken or proposed to be undertaken.
While our aim is to offer certainty and accordingly advise a client in terms of tax implications from possible structuring, we are fully equipped to deal with any tax litigation on any subject matter including on capital gains for non-residents with regard to equity related and other transactions, presumptive Taxation, TDS liability, GAAR, treaty interpretation, Entitlement to Treaty Benefits, Permanent Establishment and Profit Attribution, Transfer Pricing, Mergers and Acquisitions, dividends and taxation, deemed dividend, Royalty and Fees for Technical Services, Tax Avoidance and withholding tax liabilities etc.
International Tax Planning and International Tax Law
We are an international tax planning firm and a tax litigation law firm equipped with a team of qualified chartered accountants, international taxation lawyers and affiliates. Our team has extensive experience in dealing with the issues of International Taxation on matters such as Withholding Tax obligations in International Transactions, International Tax Planning, Presentation of Application to tax authority for determination of the appropriate portion of sum chargeable under Income Tax Act, Advise on Transfer Pricing, Preparation of Transfer Pricing Reports, advising on and initiation of the process for advance pricing agreements, Equalization levy, Capital Gains for Non-Residents, Tax Treaty Interpretation, GAAR etc. We suggest various NRIs optimize Tax implications flowing from their investments and connections in India. Similarly, we advise Indian Residents to optimize capital gain tax implications and other tax implications flowing from their overseas assets and operations.
Additionally, our team is adept in handling matters requiring us to do extensive tax due diligence, which is typically carried out to validate the representation made by the seller during pre-deal negotiations, verify the buyer’s assumptions in placing a value on the target, highlight the potential tax benefits which might be hidden, frame the deal in a tax-efficient way, and recognize any material tax exposures which may otherwise exist with the target. Upon assessment, our team provides a complete detailed report on the circumstances to give the best possible advice to our clients.
We play a crucial and integral role in advising on structuring cross-border transactions between associated enterprises and independent parties to optimize tax implications within the bounds of the law.
Having been involved in catering to the needs of clients in different spheres ranging from funds, real estate, banking, life sciences and technology etc., our team is well qualified to reasonably foresee possible tax issues in a given sphere and from a specific business model adopted by a client which enables us to advise on structuring transactions with best potential tax implications within the bounds of the law. We also file applications before the Authority of Advance Ruling for tax liability arising from transactions undertaken or proposed.
While we aim to offer certainty and accordingly advise a client regarding tax implications from possible structuring, we are fully equipped to deal with tax litigation on any subject matter, including capital gains for non-residents equity-related. Other transactions, presumptive Taxation, TDS liability, GAAR, treaty interpretation, Entitlement to Treaty Benefits, Permanent Establishment and Profit Attribution, Transfer Pricing, Mergers and Acquisitions, dividends and taxation, deemed dividend, Royalty and Fees for Technical Services, Tax Avoidance and withholding tax liabilities etc.
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R & D Law Chambers 604, Entice
Ambali Bopal Road, Ahmedabad 380058
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