Navigating global tax complexities with strategic precision.

In today’s interconnected business environment, successful cross-border operations require a deep understanding of the evolving tax and regulatory landscapes across jurisdictions. The global tax framework is undergoing a fundamental shift — driven by OECD’s Base Erosion and Profit Shifting (BEPS) initiatives, Pillar 1 and 2 reforms, and unilateral digital tax measures by countries seeking to protect their tax base.

We assist multinational companies and Indian conglomerates in navigating these complexities with tailored, commercially-aligned tax solutions. Our advisory services include detailed analysis of withholding tax obligations, treaty interpretation, taxability under domestic law, and cross-border transaction structuring.

Our team brings both technical strength and commercial practicality to help businesses proactively address scrutiny from tax authorities, manage litigation risks, and align global tax positions with evolving jurisprudence and disclosure regimes

What We Do

International tax structuring and compliance for MNCs investing into India and Indian businesses expanding globally.

  • 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