1. Why treaty entitlement matters in cross-border structuresDouble Taxation Avoidance Agreements are central to the functioning of international commerce. A taxpayer earning income across borders may otherwise be exposed to tax in more than one country: one country may tax because the income arises within its territory...
Read the full article →Expert writing across every domain, in one place
Analysis, opinions and practice notes on Income Tax, GST, Company Law, Customs, FEMA and the profession — published as they are approved by our editors.
Today's paper
The desks that publish every week.
Also worth reading
All articles →Across every practice area, most recent first.
1. Context: Why this transition mattersA recurring issue for Indian companies adopting Ind AS for the first time is the treatment of joint ventures in...
The decision in Additional Commissioner, Grade 2 and Another v. M/s Safecon Lifesciences Private Limited, (2026) TaxCorp(GST) 70124 (SC), though conta...
1. Why Circular No. 256/02/2026-GST matters beyond procedureCircular No. 256/02/2026-GST dated 25.07.2026 has been issued by the CBIC to prescribe the...
Madras High Court Re-centres the Refund Test on the StatuteThe decision of the Madras High Court in M/s Vindhya Spinning Mills Private Limited v. The...
Two recent developments in GST litigation highlight a common theme: procedural compliance does not end with the first step. In one matter, the GST App...
AbstractCost management was traditionally designed around control: standard costs, budgets, variance reports and post-event corrective action. These m...
Browse by practice area
15,702 articles across 13 practice areas.
Article directory
Every practice area, with what is behind it.