The Supreme Court sets aside the Delhi high court's August 2024 judgment, which had quashed the tax demand and ruled in ...
Many FPIs set up shop in Mauritius or Singapore to avail zero tax on derivative market gains and these structures need to be ...
Flipkart Singapore derives value from Indian assets and their sale is taxable in India, even if the buyer is Mauritius-based ...
The Supreme Court’s ruling denying tax treaty benefits to Mauritius-based entities of Tiger Global is expected to have ...
SC ruling on Tiger Global's Flipkart exit may prompt foreign investors to reassess holding structures. Experts warn of ...
The move signals the Narendra Modi administration’s patient approach in complex and sensitive tax matters, restraining field ...
Supreme Court ruling confirms old cases won't reopen, reassuring investors after Tiger Global tax decision, says CBDT.
The Supreme Court held Tiger Global's Mauritius entities liable for capital gains tax on their 2018 Flipkart exit, ruling the ...
I-T dept will assess Tiger Global's capital gains tax from the 2018 Flipkart-Walmart deal after Supreme Court ruling.
In a setback to Tiger Global Management Llc, the Supreme Court on Thursday upheld the income tax department’s claim that ...
Tiger Global had invested in Flipkart in its early years through Mauritius-based entities -- Tiger Global International II, ...
The earlier ruling had granted capital gains tax relief to the PE firm, which had used its Mauritius-based entity, Tiger ...