India’s Supreme Court ruling in the Tiger Global case marks a tougher stance on treaty benefits and anti-avoidance rules. Private equity sponsors with India exposure should reassess legacy structures, substance expectations, and potential operating model risks.
IN THIS EPISODE
Thomas Groenen, PwC’s US Global Structuring - Financial Services Leader
Pat Brown, PwC's National Tax Office Co-leader
Andrew Prior, Managing Director, PwC’s Tax Policy Services Practice
Sindhu Blume, Host, Policy on Demand
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