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CBDT notifies thresholds to determine ‘significance’ of significant economic presence

May 20, 2021

Non-resident taxpayers may now have to watch out for a new nexus norm that will require enterprises with no physical presence in India to pay taxes in India on their business profits attributable to transactions or activities that constitute a ‘significant economic presence’ (“SEP”) of the non-resident in India.

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By Hook or By Crook: When IT dept. sought to tax rights issue as unexplained cash credit but Tribunal refused

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Rules for minimum remuneration notified for Indian managers of offshore funds to qualify for exemption from taxable presence in India

June 5, 2020

I’m leaving on a Jet Plane (or maybe not!): CBDT clarifies tax residency for people trapped in India

May 11, 2020

Back to the Future: Restoring the Mauritius Route for FPI investments

April 20, 2020

ITAT on the Taxability of Transfer of Know-how Under Development

June 11, 2019

The Dilemma of Dual Residence – Can Vital Interests Fluctuate Overnight?

May 13, 2019
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Blogs
  • India Corporate Law
  • India Tax Law
  • Private Client
Firm/Org
  • Cyril Amarchand Mangaldas

Sanjana Rao

Subscribe: Subscribe via RSS
Blogs
  • India Corporate Law
  • India Tax Law
  • Private Client
Firm/Org
  • Cyril Amarchand Mangaldas
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