International Tax

Global business landscape necessitates an in-depth understanding of the interplay between tax and regulatory ecosystems of various countries. The developments around Base Erosion and Profit Shifting and the introduction of novel unilateral measures by countries to safeguard their tax base add to the myriad of complexities in case of cross border transactions.

In light of legislative and judicial international tax developments and the extensive scrutiny of cross border transactions by the tax administrators, we assist clients in intricate tax analysis (including withholding tax obligations) and structuring of cross border transactions and agreements. Aurtus Consulting has working collaborations with tax experts globally to leverage on their expertise in cross border transactions.

 

Our key service offering

 
  • Advising on holding structures of multinational corporations including strategy for investment, repatriation and divestment

  • Assessment of eligibility of benefit under tax treaties taking into account the impact of domestic anti-avoidance measures, limitation of benefit provisions and MLI

  • Structuring and tax impact analysis (including withholding tax obligations) of cross border transactions and agreements

  • BEPS impact analysis

  • Intellectual property rights (IPRs) planning to ensure safeguarding of IPRs and tax optimization of income from IPRs

  • Assist in assessing Place of Effective Management (POEM) and permanent establishment exposure and suggesting safeguards in relation to the same

  • Analysis of tax outcomes of cross-border digital transactions, including the relevance of equalization levy in India

  • Expatriate taxation planning