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TAX

 
  • Advised V.Ships, the leading supplier of independent ship management and related marine services to the global shipping industry on various tax issues in the restructuring of its Indian operations.
  • Advised Summit Partners LP, a leader in growth equity for rapidly growing companies, on capital gains tax and related issues in its proposed acquisition of a leading travel software development company with multinational operations.
  • Advised Atos Origin, the leading French IT multinational, on tax issues in its acquisition of Venture Infotek, an Indian card processing and technology company.
  • Advised H&R Block (NYSE: HRB), the largest American tax preparation services providers, on complex tax issues in relation to its acquisition of a tax return preparation software business in India.
  • Assisting JDA Software Group, Inc., a leading supply and demand chain management company, in offshore and onshore tax issues in relation to the amalgamation of its India operations into i2 Technologies India Private Limited, following its global acquisition of i2 Technologies, Inc.
  • Advised W.W. Grainger, Inc., one of the largest broad-line distributors in North America, on Indian tax law issues associated with its investment into Asia Pacific Brands India Private Limited, and also relating to services agreements, expatriate taxation, and fringe benefit tax issues.
  • Advised Lummus Corporation, the world’s premier supplier of machineries for the cotton ginning industry, on tax law issues in connection with technology licensed to its Indian joint venture company, as well as on withholding taxes, transfer pricing, and offshore structuring.
  • Advised Varian Medical Systems, Inc., a top-tier medical devices company, on Indian tax law issues relating to capital gains tax, withholding tax and transfer pricing in its acquisition of an Indian company.
  • Advised the Loparex Group, a Finnish multinational, on Indian tax law matters involved in restructuring its Indian operations.
  • Advised Safer Solutions, Inc. on Indian tax law matters involved in restructuring its Indian operations.
  • Advised A.J.Gallagher & Co., one of the largest brokerage houses in the world, on Indian tax law matters involved in restructuring its Indian operations.
  • Advised Platinum Equity on transfer pricing and associated issues related to the acquisition of Delphi’s Indian operations.
  • Assisted Rotstein Lockwood Reddy, an Australian law firm, and advised an Australian architectural firm having subsidiaries in Australia, India and Singapore on tax structuring issues and advice under the India-Singapore DTAA and the India-Australia DTAA.
  • Advising Adecco USA, Inc., one of the largest staffing companies in the world, on tax and permanent establishment issues pertaining to secondment of its employees to India.
  • Advising KPMG LLP, USA, on significant permanent establishment, SEZ tax holiday and other tax matters, in respect of various services being rendered by it in India. 
  • Advised CompuCom Systems, Inc., a top-5 US-based IT company providing infrastructure management services, application services, systems integration and consulting services, on tax law implications in the incorporation of its Indian and Mauritius subsidiaries.
  • Advised C. E. Technologies, Inc. on funding its Indian subsidiary through a Mauritius vehicle and applicable tax issues.
  • Advised Wells Fargo Bank on tax law matters (including, permanent establishment issues, transfer pricing, fringe benefits tax, withholding tax, etc.) in respect of its Indian subsidiary.
  • Advised First Financial Bank, the largest university credit card bank in the US, on tax law matters (including permanent establishment issues, transfer pricing, fringe benefits tax, withholding tax, etc.) in respect of its Indian subsidiary.
  • Advised Dealogic Holdings Plc, a leading global financial markets surveyor, on tax structuring of its Indian entity, including advice related to permanent establishments, transfer pricing, withholding taxes, service tax, etc.
  • Advised FRS Global on withholding tax and permanent establishment issues associated with services’ agreements between FRS Global and its Indian subsidiary.
  • Advised Beckman Coulter, Inc. on Indian withholding tax issues on guarantee agreements with its Indian subsidiary.
  • Advised Venturi Wireless, Inc. on permanent establishment and Indian tax law issues in relation to its Indian subsidiary.
  • Advised KS Gleitlager GmbH, a subsidiary of the German multinational automotive company, Kolbenschmidt Pierburg AG, on tax aspects of its proposed acquisition through a “slump sale” of a major Indian automotive parts company.
  • Advised Verizon on permanent establishment, VAT and customs issues with respect to leasing and sale of equipment to certain customers in India.
  • Advised Owens Corning on transfer pricing and other Indian tax law issues related to asset transfers through its Indian subsidiary.
  • Advised Infinia Corporation on the direct and indirect tax issues (including sales tax, works contracts tax, and customs laws) impacting its EPC contract in relation to the solar power project being undertaken by it for the Dalmia group in Rajasthan.
  • Advised Conax AS on sales tax on import of conditional access systems into India.
  • Advised GTECH Corporation on the sales tax implications of selling online lotteries in India, the Free Trade Agreement between India and Sri Lanka, etc.
  • Advised CPS Color Private Limited on sales tax and VAT issues impacting its Indian operations.
  • Advised Hycrete, Inc., on customs duty issues related to distribution of its products in India, and also on permanent establishment, withholding tax, and service tax issues associated with its agreements with Indian distributors.
  • Advised Network Appliance Inc. (NASDAQ: NTAP), a leading provider of integrated solutions to enable storage, delivery and management of network data, on various aspects of STPI and customs issues in relation to its Indian subsidiary, i.e., Network Appliance Systems (India) Private Limited.
  • Advised Chicago Mercantile Exchange Inc. on permanent establishment issues related to the activities of its proposed liaison office in India, and also on issues relating to expatriate taxation in India.
  • Advised FTE Automotive GmbH on permanent establishment issues related to the activities of its proposed branch office in India, and also on issues relating to expatriate taxation in India.
  • Advised GL Trade on withholding tax issues related to its liaison office in India.
  • Advised St. George’s Bank, a top-4 Australian bank, on permanent establishment and Indian tax law issues applicable to outsourcing certain functions to Indian service providers.
  • Advised Allstate Insurance Company on permanent establishment and Indian tax law issues in respect of its outsourcing transaction with EXL Services India.
  • Advised Cicada Corporation on permanent establishment and Indian tax law issues concerning outsourcing certain functions to Indian service providers.
  • Advised Fragomen LLP on permanent establishment and Indian tax law issues concerning outsourcing certain functions to Indian service providers.
  • Advised Warner Music on permanent establishment and Indian tax law issues on an Indian outsourcing transaction.
  • Advised Imagenation Abu Dhabi, one of the world’s leading feature film producers, on tax issues in relation to its Indian film production, “My Name is Khan.” Also advising on Indian tax matters and issues under the India-Singapore DTAA in respect of charging payments to its Indian joint venture.
  • Advised BroadSign International, Inc. on permanent establishment, revenue recognition, and withholding tax issues in a technology licensing deal.
  • Advised Gensler, a top US-based architectural firm, on permanent establishment and Indian direct and indirect tax laws in relation to a bid for an airport design project in India.
  • Advised Chevron on Indian tax issues associated with the assignment of certain trade marks.
  • Advised North American Interconnect LLC on permanent establishment and Indian tax law issues in relation to a telecommunication transaction with an Indian company.
  • Advised New Vernon Advisors on issues relating to withholding taxes and filing of tax returns in India.
  • Advised Atrenta Inc., a Silicon Valley company specializing in chip design EDA, on fringe benefit tax issues in relation to employee stock options to the employees of its Indian subsidiary.
  • Advised CGI Group Inc., a leading information technology and business process services firm, on fringe benefit tax issues in relation to stock options granted to the employees of its Indian subsidiary.
  • Advised W.L.Gore and Associates, Inc., a manufacturer of specialized medical products derived from fluoropolymers, on tax issues relating to seconding its Indian employee to China.
  • Advised Jatropower AG, a Swiss company, on transfer pricing issues under Indian tax law.
  • Advised Raymond Weil SA, a Swiss-based luxury watch manufacturer, on setting up a unit in a Free Trade Warehousing Zone and the related tax incentives.
  • Advised Paul Reinhart AG, a leading global cotton trading company, on the laws applicable to wholesale cotton trading in India, including hedging of the price on Indian and international commodities markets, and related tax issues.
  • Advised W.L.Gore & Associates (Pacific) Pte. Ltd., Singapore, a subsidiary of W.L. Gore & Associates, Inc., a leading manufacturer of advanced technology products for the electronics, industrial, fabrics, and medical markets, with respect to permanent establishment issues in engaging an independent contractor in India.
  • Advised ARAMARK Corporation, a US-based Fortune 500 company delivering customized management solutions, including facilities management and food services, regarding taxation of ESOPs issued to employees of its Indian subsidiary.
  • Advised Courion Corporation, a US-based leader in access governance, provisioning and compliance, in relation to certain tax issues involved in the inter-company services agreement for software services with its Indian subsidiary.
  • Advised on permanent establishment implications for a Danish pharmaceuticals company in appointing a distributor in India.
  • Advised regarding taxation of a Delaware LLC in India and tax structuring of a brand and know-how license to an Indian company in the hotel industry.
  • Assisted Woodhead Pty Limited, Australia, a leading architecture, interiors and planning company, on tax advice for its subsidiary in India.
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