We at CorpIntellect are experts in International Tax Advisory and Representation. With our experience ranging more than 20 years in this field we are a credible source of advise. The services include Advisory and Issue of opinions on International Tax issues including Permanent Establishments, Royalty, Technical Know- How, Independent Personal service, Expat Salary, Subvention, etc. Advisory on Double Taxation Avoidance Treaties including withholding tax issues, Tax Information Exchange Agreements, Multilateral Conventions to implement tax treaties to prevent Base Erosion and Profit Shifting (BEPS). Cross border transaction advisory including advising inbound and outbound investment strategies, optimum ownership structures, optimal entry and outbound investment vehicle, holding co jurisdiction, capital structuring to achieve optimal repatriation, advising all modes of inbound and outbound investments FDI/FII/JVs/Venture Capital Funds/ Foreign Collaborations’/PE, GDR, FCCBs etc. Developing tax efficient inbound and outbound structures for MNCs and assisting them in setting up base and expansion of businesses including low tax jurisdictions like Mauritius, BVI, Singapore, Dubai, Bahamas, Cayman Island etc. Place of effective management planning, documentation and reviews. Review and drafting of agreements for the group, Regulatory & Compliance services for instance 3CEB filing, Country by country Reporting, 15CA & 15CB filings, Obtaining Nil/ lower withholding Tax Certificates etc. Representation before AO, CIT(A), DRP, Income Tax Appellate Tribunal, Safe harbour representation, Advance Pricing Arrangement (APA), representation in MAP etc. Representation before Hon’ble High Court and Hon’ble Supreme Court
A study or a process of taxation on an individual or a business entity under the clause of the Tax Laws and regulations of every county. The International Taxation is mainly classified into two main categories depending on the globalisation of the market- Residence based taxation and Source based taxation.
A tax levied on any foreign or domestic company doing business in India or outside the country under the jurisdiction of International Taxation.
Double Taxation Avoidance Agreements (DTAAs) are treaties between two or more countries designed to prevent the same income from being taxed in more than one jurisdiction. They aim to promote cross-border trade and investment by providing tax certainty and reducing the tax burden on individuals and businesses operating in multiple countries.
Avoiding Double Taxation:
Tax Relief Mechanisms:
Types of Income Covered:
Reduced Withholding Tax Rates:
Exchange of Information:
Tax Exchange Information Agreements (TEIAs) are agreements between countries that facilitate the exchange of tax-related information. These agreements aim to enhance transparency and cooperation between tax authorities, helping to combat tax evasion and ensure compliance with tax laws.
Information Sharing:
Combatting Tax Evasion:
Types of Information Exchanged:
Confidentiality Provisions:
Mutual Assistance:
Multilateral Instruments (MLI) are agreements designed to facilitate the implementation of measures to combat tax avoidance and ensure the integrity of tax systems globally. The most notable MLI is the OECD’s Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (BEPS), which allows countries to modify their existing bilateral tax treaties in a coordinated manner.
Efficient Implementation:
Flexible Approach:
Coverage of Various Measures:
Minimum Standards:
Multilateral Signature:
Permanent Establishment (PE) refers to a fixed place of business through which a foreign enterprise conducts its business activities in a host country. It is a key concept in international tax law, determining the right of a country to tax the income of a foreign entity.
Definition:
Types of PE:
Tax Implications:
Exemptions:
Thresholds:
Place of Effective Management (POEM) is a concept used in international taxation to determine the residency of a company for tax purposes. It refers to the location where key management and commercial decisions of a company are made, effectively controlling the company’s operations.
Determining Residency:
Criteria for POEM:
Relevance in Tax Treaties:
Significance in Tax Planning:
POEM vs. Incorporation: