India along with 67 other countries signed the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting (BEPS), also referred to as the Multilateral Instrument (MLI), in Paris on 7 June. The MLI is an outcome of the BEPS Action Plans devised by the Organization for Economic Cooperation and Development.
RELATED ARTICLESMORE FROM AUTHOR
UN fairness framework perhaps not fair enough
By Mukesh Butani, Pranoy Goswami and Spandana Koona, BMR Legal
Anti-avoidance may be anti-Mauritius investment
By Seema Kejriwal and Pranoy Goswami, BMR Legal
BEPS action and anti-avoidance tax regime in Indonesia
By Freddy Karyadi and Anastasia Irawati
Most Recent
Correspondents
New code brings ambiguity for maternity benefits
By Agrima Awasthi and Diksha Singh, Wadhwa Law Offices
Updating force majeure clauses for India-Japan contracts
By Krishna Vijay Singh and Muneeb Rashid Malik, Kochhar & Co
Features
Knock knock
Preparing for India’s multi-agency dawn raids: Building response architecture, preserving privilege and documenting every step
Guarding the nest eggs
Life insurers’ digital shift demands stronger legal oversight to protect customer data and cyber resilience
Playing catch-up
Shared venture documentation gaps slow India funding rounds and shape foreign capital perceptions of ecosystem maturity
Preparing for India’s multi-agency dawn raids: Building response architecture, preserving privilege and documenting every step
Life insurers’ digital shift demands stronger legal oversight to protect customer data and cyber resilience
Shared venture documentation gaps slow India funding rounds and shape foreign capital perceptions of ecosystem maturity
Opinion
Clipping the clause
To what extent does party autonomy hold sway over contracts that involve exceptional or prohibited clauses?
To what extent does party autonomy hold sway over contracts that involve exceptional or prohibited clauses?






















