Experts' Corner ( 2755 results )
- Expert Articles
Recasting Goodwill as an Intangible Workforce: A Double-Edged Sword?
Mayank Mohanka Partner, S M Mohanka & Associates - Eye Share
Charitable Trusts Under the Lens: Evolving Compliance, Commerciality, and Tax Exemptions under Income Tax Law
Yashika Mittal Associate - Direct Tax, SW India - Traversing Transactions Free
LLP Mergers: Regulatory Possibility, Tax Impossibility, and the Case for Reform
Binoy Parikh Partner, Katalyst Advisors + 1 More - Expert Articles Free
The Perils of Unreflective Adoption: Sec. 50C, Leasehold Rights & the Discipline of Precedent
Pramod Kumar Former Vice President, Income Tax Appellate Tribunal | Senior Advisor, New Delhi - Expert Articles Free
JAO vs. FAO Jurisdictional Battle Continues After SC Remand to High Courts
Jayesh Kariya Leader - Transaction & Business Advisory, Bhuta Shah & Co LLP - Traversing Transactions Free
Perpetual Debentures: Equity in Substance, Debt in Form, and the Hat It Wears Under Each Law
Binoy Parikh Partner, Katalyst Advisors + 1 More - Expert Articles
“Being Outside India” – An Enigma in Tax Residency Law
Mayank Mohanka Partner, S M Mohanka & Associates - Eye Share
Supreme Court Reopens Reassessment Battle: Can Retrospective Amendments Rescue Faceless Jurisdiction Defects?
Kunal Bhatt Direct Tax, SW India + 1 More - Expert Articles
Conversion of CCDs & Taxability u/s 56(2)(viib)
Jayesh Kariya Leader - Transaction & Business Advisory, Bhuta Shah & Co LLP - Expert Articles
The Evolving GCC Model and the Rising Risk of PE
Kurella Venkata Chakrapani Finance & Tax leader at Global Capability Centers - Expert Articles
Beyond the Contract: Legal vs Economic Employer in Cross Border Employment Structures
Maulin Shah Manager, Ernst & Young LLP + 1 More - Expert Articles
The Return of the Retrospectivity Ghost in the Benami Law of 2016
Mayank Mohanka Partner, S M Mohanka & Associates - Expert Articles
Treaty Protection post Tiger Global: Status vs. Collection clarity in 2025 Act Era
Pramod Kumar Former Vice President, Income Tax Appellate Tribunal | Senior Advisor, New Delhi - Eye Share
Private Discretionary Trust: MMR Applied, is a Surcharge Implied?
CA Vraj Dakwala Senior Consultant, Ernst & Young LLP - Eye Share
Notice u/s 143(2) in Faceless Era: Assumption of Jurisdiction & Defence Mechanism
Harshavardhana Datar Chartered Accountant - Expert Articles
Taxing the Intangible: India’s Evolving Stance on Virtual PE
Ashish Chadha Associate Director, Price Waterhouse & Co LLP - Expert Articles
From Panic to Prepared: Building a Defence Against Income Tax Search Lawfully
Harshavardhana Datar Chartered Accountant - Traversing Transactions
Section 66 vs. 230: Stand-Alone Capital Reduction, Appointed Date Advantage & the Income-Tax Impact
Binoy Parikh Partner, Katalyst Advisors + 1 More - Expert Articles
Section 153A or 153C — Name on the Warrant Decides, Not the Premises
Ramesh N Parbat Ex CBDT Member - Expert Articles
Substance Over Form: How the Supreme Court Is Redefining India’s Direct Tax Jurisprudence
Gaurav Barchha Director, Deloitte India