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Tax

Tax in India is moving through the Income-tax Act, 2025 transition while GST practice continues to settle. We work on the procedural side and on the tax consequences of transactions.

WHAT WE DO
• Corporate rates, concessional regimes and MAT
• Transfer pricing, benchmarking, Master File and CbCR
• Safe harbour, advance pricing agreements and MAP
• International tax, DTAA, permanent establishment and PoEM
• GAAR and significant economic presence analysis
• Withholding on cross border payments
• GST registration, classification, input tax credit and place of supply
• Customs valuation, SVB and rules of origin under CAROTAR, 2020
• Appeals before ITAT and CESTAT
• Transaction tax on ESOPs, buyback and capital gains

HOW THE WORK IS ORGANISED
Direct tax · Transfer pricing · Indirect tax · Appeals

KEY INSTRUMENTS
Income-tax Act, 1961 · Income-tax Act, 2025 · CGST Act, 2017 · Customs Act, 1962

FEES
Fixed fee for defined scopes, retainer arrangements for ongoing volume, and time based billing where scope cannot be fixed in advance. The basis is agreed in writing before work begins and discussed at first contact.

Direct and indirect tax procedure, transfer pricing and transaction tax.

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