Tax

April 8, 2026
Tiger Global & the 2026 Amendments: The Grandfathering Relief That Doesn’t Forgive Thin Structures

April 8, 2026
After Tiger Global: Government Restores Pre-2017 Certainty – But the Anti-Avoidance Lens Remains

April 6, 2026
Beyond Borders, Beyond Shares: Decoding Article 13(5) of the India-Singapore DTAA and the Residual Capital Gains Regime

April 6, 2026
Article 13(4): Taxation of Capital Gains on Shares in Indian Companies: An Analysis of the Grandfathering Clause and Its Implications

February 23, 2026
Major GST Win: Clinical Trial Services For Foreign Clients Are Exports & Tax Free Retrospectively

February 17, 2026
Union Budget 2026–27: Strengthening Certainty, Simplifying Compliance and Using Tax Policy as a Strategic Lever

February 14, 2026
Recharacterising Offshore Transactions: Economic Substance, BEPS and India’s Evolving Approach under Sections 9 and 195 of the Income-tax Act

February 5, 2026
Rewriting India’s Tax Architecture: Structural and Compliance Reforms in the Union Budget 2026–27

January 20, 2026
Tax Laws And International Trade: A Legal Perspective

January 16, 2026
The Tiger Global Judgment: What Went Wrong, What Was Decided, and What Still Remains Open

January 16, 2026
Tiger Global Before the Supreme Court: Redefining the Limits of Treaty Protection, AAR Jurisdiction, and Investor Certainty

January 8, 2026
Taxation Of Cryptocurrencies In India: Legal Framework, Judicial Developments, And Emerging Challenges

January 7, 2026
GST Notices As A Leadership Test

January 7, 2026
How CFOs Should Read GST Notices: An Expanded, Deep-Dive, CFO-Grade Playbook For Risk, Governance & Value Protection

January 6, 2026
GST Notices for Assessment Years: What Companies Need to Know, Why They Receive Them, and How They Must Respond

December 30, 2025
Judicial Interpretation Of ‘Sufficient Cause’ And Its Impact On Limitation Under Taxation Laws

December 2, 2025
Stamp Duty Liability Depends on Legal Character, Not Title of Instrument: Supreme Court

November 26, 2025