Common Interpretation—Is It Really That Common? The Indian Context

Sudin Sabnis and Suraj Nangia of Nangia Andersen LLP provide a perspective on the recent Concentrix decision by the Delhi High Court on the applicability of Most Favored Nation clause benefits in respect of tax treaties signed by India with non-OECD countries which subsequently became OECD members. https://news.bloombergtax.com/daily-tax-report-international/common-interpretation-is-it-really-that-common-the-indian-context

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