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COVID 19: Impact on economy and international tax
The Cairn Arbitration Award: Retrospective Taxation of Indirect Share Transfers in India Breaches Bilateral Investment Treaty
Applying Articles 9 and 24 of the OECD Model to Thin Capitalization Rules
Bilateral Investment Treaties – India and beyond
The future of arm’s length principle – Is there a need to revisit the principle?
BEP 2.0: Pillar 2, tax incentives and its interplay – Can subsidies replace tax incentives?
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