Hi, Please find attached a research paper for your reading, written by me and released by TransPrice on one of the most discussed topics in the Transfer Pricing arena - "Intangibles". Kindly provide your feedback on the same. You can mail me at akshaykenkre@transprice.in Kindly let me know your coordinates, if you need a printed copy of the same. Thanks a lot. Happy Reading. Best Regards, Akshay Kenkre +91 9819245424
It gives me a pleasure to present the summary of India Budget Synthesis 2014.
While you may already have the snapshot, here is a document which will not only give you crisp highlights, but would also decode the impact of Budget 2014 on You, Your Company and Your Sector.
Hope you find this analysis useful in taking clearer business decisions and align your company's strategy with the overall economic climate in the balance part of financial year 2014-15.
Would love to hear your feedback on the usefulness of the same.
It gives me a pleasure to present the summary and analysis of Union Budget 2015.
While you may have the snapshot, here is a document which will not only give you crisp highlights, but would also decode the impact of Budget 2015 on You, Your company and Your sector.
Hope you find this analysis useful in taking business decisions and align your company's strategy with over all economic climate for the upcoming financial year.
Would love to hear your feedback on the usefulness of the same.
TransPrice Times - Special Edition - Decoding the Black Money ActAkshay KENKRE
Dear Readers,
To check the black money menace, the Government of India recently introduced ‘The Black Money Act’, the provisions of which are applicable from 1 July 2015.
The Act provides for a short window till 30 September 2015 for voluntary disclosures, post which draconian penalties would be applicable on non-disclosures of assets held in foreign land.
We are pleased to present TransPrice Special Edition titled ‘Decoding the Black Money Act’ which gives you a quick snapshot of the various provisions of the Act. This edition will enable you to understand various compliances and penalties for varied situations in which the assets were acquired outside India.
In case you need any clarifications, please feel free to get in touch.
Trust you will find it useful.
Happy reading !
Introduction to TransPrice Knowledge AllianceAkshay KENKRE
TransPrice flagged off a knowledge circle amongst its members, clients and associates; the purpose of which is to spread awareness about the transfer pricing issues in the industry; to value add by representing the issues discussed in the forum at various larger forums and ultimately provide plausible solutions.
I hereby invite the industry members who are affected by Transfer Pricing and International taxation to join the group.
Interested professionals can write to me on akshaykenkre@transprice.in
This is purely a knowledge awareness session and not a business initiative.
Thanks a lot
Akshay Kenkre
Hi, Please find attached a research paper for your reading, written by me and released by TransPrice on one of the most discussed topics in the Transfer Pricing arena - "Intangibles". Kindly provide your feedback on the same. You can mail me at akshaykenkre@transprice.in Kindly let me know your coordinates, if you need a printed copy of the same. Thanks a lot. Happy Reading. Best Regards, Akshay Kenkre +91 9819245424
It gives me a pleasure to present the summary of India Budget Synthesis 2014.
While you may already have the snapshot, here is a document which will not only give you crisp highlights, but would also decode the impact of Budget 2014 on You, Your Company and Your Sector.
Hope you find this analysis useful in taking clearer business decisions and align your company's strategy with the overall economic climate in the balance part of financial year 2014-15.
Would love to hear your feedback on the usefulness of the same.
It gives me a pleasure to present the summary and analysis of Union Budget 2015.
While you may have the snapshot, here is a document which will not only give you crisp highlights, but would also decode the impact of Budget 2015 on You, Your company and Your sector.
Hope you find this analysis useful in taking business decisions and align your company's strategy with over all economic climate for the upcoming financial year.
Would love to hear your feedback on the usefulness of the same.
TransPrice Times - Special Edition - Decoding the Black Money ActAkshay KENKRE
Dear Readers,
To check the black money menace, the Government of India recently introduced ‘The Black Money Act’, the provisions of which are applicable from 1 July 2015.
The Act provides for a short window till 30 September 2015 for voluntary disclosures, post which draconian penalties would be applicable on non-disclosures of assets held in foreign land.
We are pleased to present TransPrice Special Edition titled ‘Decoding the Black Money Act’ which gives you a quick snapshot of the various provisions of the Act. This edition will enable you to understand various compliances and penalties for varied situations in which the assets were acquired outside India.
In case you need any clarifications, please feel free to get in touch.
Trust you will find it useful.
Happy reading !
Introduction to TransPrice Knowledge AllianceAkshay KENKRE
TransPrice flagged off a knowledge circle amongst its members, clients and associates; the purpose of which is to spread awareness about the transfer pricing issues in the industry; to value add by representing the issues discussed in the forum at various larger forums and ultimately provide plausible solutions.
I hereby invite the industry members who are affected by Transfer Pricing and International taxation to join the group.
Interested professionals can write to me on akshaykenkre@transprice.in
This is purely a knowledge awareness session and not a business initiative.
Thanks a lot
Akshay Kenkre
News Update: Transfer Pricing- Marketing Intangible - Delhi High Court DecisionAkshay KENKRE
16 March 2015: Delhi High Court rules on applicability of transfer pricing on Marketing Intangibles. The ruling will bring in clarity on the aspect of Marketing Intangibles and would reduce litigation on the expenditure incurred on advertisement, marketing and promotion by the multinational companies. We present to you a snapshot of 142 pager decision given by the high court highlighting important principles around the issue and our views on the same.
Trust you will find it useful.
Happy reading !!!
It gives me a pleasure to present the summary and analysis of Union Budget 2016.
While you may have the snapshot, here is a document which will not only give you crisp highlights, but would also decode the impact of Budget 2016 on You, Your company and Your sector.
Hope you find this analysis useful in taking business decisions and align your company's strategy with over all economic climate for the upcoming financial year.
Would love to hear your feedback on the usefulness of the same.
Thanks a lot.
As a foreign company doing business with Indian consumers, you might want to evaluate the impact of the Equalisation levy on your supply chain. It is a 2% levy that you may like to factor in your global taxes or get it structured it right.
Dear Members,
We are pleased to present to you ‘TransPrice Times – July 2018 edition’.
This periodical covers key court rulings on selection of different tested party; FAR analysis and Rule of consistency.
Apart from this, recent news relating to the draft e-commerce policy released by Government of India have been discussed in the periodical. Links to the OECD’s recent activity and our Special Edition article on ‘Changing Colours of Indian Tax Audit (3CD)’ have also been cited.
We trust you will find this update useful and informative.
We would be happy to know your suggestions. You can write to us at akshaykenkre@transprice.in
Thank You and Happy Reading!!
Dear Members,
We are pleased to present to you ‘TransPrice Times – edition 1st - 15th March 2018’.
This periodical covers key court rulings on the foreign component of employee expenses, treatment of foreign comparables and selection of most appropriate method in transfer pricing. To top it off, certain specific rulings on reference to the transfer pricing officer and use of business segment-wise results over entity-wide results have been looked at separately in this periodical.
We would be happy to know your suggestions. You can write to us at akshaykenkre@transprice.in
Thank You and Happy Reading!!
TransPrice Times - 16th - 28th February 2018Akshay KENKRE
Dear Members,
We are pleased to present to you ‘TransPrice Times – edition 16th - 28th February 2018’.
This periodical covers key court rulings on Transfer Pricing documentation, attribution of income to a permanent establishment; and advertising, marketing & promotion expenses. Apart from this, recent news relating to Advance Pricing Agreements and OECD updated guidance on Country-by-Country Reporting have been discussed in the periodical.
Thank You and Happy Reading!!
News Update: Transfer Pricing- Marketing Intangible - Delhi High Court DecisionAkshay KENKRE
16 March 2015: Delhi High Court rules on applicability of transfer pricing on Marketing Intangibles. The ruling will bring in clarity on the aspect of Marketing Intangibles and would reduce litigation on the expenditure incurred on advertisement, marketing and promotion by the multinational companies. We present to you a snapshot of 142 pager decision given by the high court highlighting important principles around the issue and our views on the same.
Trust you will find it useful.
Happy reading !!!
It gives me a pleasure to present the summary and analysis of Union Budget 2016.
While you may have the snapshot, here is a document which will not only give you crisp highlights, but would also decode the impact of Budget 2016 on You, Your company and Your sector.
Hope you find this analysis useful in taking business decisions and align your company's strategy with over all economic climate for the upcoming financial year.
Would love to hear your feedback on the usefulness of the same.
Thanks a lot.
As a foreign company doing business with Indian consumers, you might want to evaluate the impact of the Equalisation levy on your supply chain. It is a 2% levy that you may like to factor in your global taxes or get it structured it right.
Dear Members,
We are pleased to present to you ‘TransPrice Times – July 2018 edition’.
This periodical covers key court rulings on selection of different tested party; FAR analysis and Rule of consistency.
Apart from this, recent news relating to the draft e-commerce policy released by Government of India have been discussed in the periodical. Links to the OECD’s recent activity and our Special Edition article on ‘Changing Colours of Indian Tax Audit (3CD)’ have also been cited.
We trust you will find this update useful and informative.
We would be happy to know your suggestions. You can write to us at akshaykenkre@transprice.in
Thank You and Happy Reading!!
Dear Members,
We are pleased to present to you ‘TransPrice Times – edition 1st - 15th March 2018’.
This periodical covers key court rulings on the foreign component of employee expenses, treatment of foreign comparables and selection of most appropriate method in transfer pricing. To top it off, certain specific rulings on reference to the transfer pricing officer and use of business segment-wise results over entity-wide results have been looked at separately in this periodical.
We would be happy to know your suggestions. You can write to us at akshaykenkre@transprice.in
Thank You and Happy Reading!!
TransPrice Times - 16th - 28th February 2018Akshay KENKRE
Dear Members,
We are pleased to present to you ‘TransPrice Times – edition 16th - 28th February 2018’.
This periodical covers key court rulings on Transfer Pricing documentation, attribution of income to a permanent establishment; and advertising, marketing & promotion expenses. Apart from this, recent news relating to Advance Pricing Agreements and OECD updated guidance on Country-by-Country Reporting have been discussed in the periodical.
Thank You and Happy Reading!!
TransPrice Times - 16th January 2018 - 15th February 2018Akshay KENKRE
Dear Members,
We are pleased to present to you ‘TransPrice Times – edition 16th January 2018 to 15th February 2018’.
This periodical covers key rulings relating to treaty benefits on capital gains under the India-Mauritius tax treaty and issues relating to related party transactions forming part of a transfer pricing study.
We would be happy to know your suggestions. You can write to us at akshaykenkre@transprice.in
Thank You and Happy Reading!!
Apart from this, recent news on implementation of BEPS measures in the India-China tax treaty has been highlighted in the periodical.
It gives me a pleasure to present the summary and analysis of Union Budget 2018.
Union Budget 2018 proves a stepping stone towards rising governance and analyzing direct tax proposals that will help India maintain its stand as the fastest growing economy in the world.
With the aim to provide you an economic overview and direct tax proposals, this snapshot also decodes the impact of each and every provision on you and your company.
Hope you find this analysis useful in taking business decisions and align your company's strategy with overall economic climate for the upcoming financial year.
Would love to hear your feedback on the usefulness of the same.
Thanks a lot.
TransPrice Times - 16th December 2017 - 15th January 2018Akshay KENKRE
Dear Members,
We are pleased to present to you ‘TransPrice Times – edition 16th December 2017 to 15th January 2018’.
This periodical covers key court rulings on determination of entities as ‘Associated Enterprises’; specified domestic transactions; sale of shares; reimbursement of expenses and nature of expenses.
Apart from this, recent news relating to India’s activation of bilateral exchange relationships for CbC & CRS MCAA has been discussed in the periodical.
TransPrice Times - 1st - 15th December 2017Akshay KENKRE
Dear Members,
We are pleased to present TransPrice Times for the first fortnight of December 2017.
This periodical covers key court rulings on the right to use multiple year data, foreign exchange gain / loss, segregation of interlinked business activity in transfer pricing, and outstanding receivables from related party. Apart from this, recent news relating to OECD's 2017 Model Tax Convention, which are commentaries of tax treaties including BEPS changes, has been discussed in the periodical.
Thank You and Happy Reading!!
TransPrice Times - October & November 2017Akshay KENKRE
Dear Members,
We are pleased to present TransPrice Times for the month of October & November 2017.
This periodical covers key court rulings on the issues of entity level approach over transactional approach, treaty benefits, receivables from an associated enterprise, royalty & TDS provisions, and real income theory. Apart from this, recent news relating to India's stand on MAP and bilateral APA applications has been discussed in the periodical.
Thank You and Happy Reading!!
TransPrice Times 16th - 31st August 2017Akshay KENKRE
Dear Members,
We are pleased to present TransPrice Times for Second fortnight of the month of August 2017.
This periodical broadly covers important rulings, addressing different key issues pertaining to foreign exchange gain as operating revenue, transfer pricing adjustment on non-utilization of agreed services and determination of most appropriate methods in transfer pricing.
We would be happy to know your suggestions. You can write to us at akshaykenkre@transprice.in
Thank You and Happy Reading!!
TransPrice Times - 1st - 15th August 2017Akshay KENKRE
Dear Members,
We are pleased to present TransPrice Times for first fortnight of the month of August 2017.
This periodical broadly covers important rulings, addressing different key issues pertaining to associated enterprises, allocation of unallocable costs among business segments, and determination of most appropriate methods in transfer pricing.
Thank You and Happy Reading!!
Dear Members,
We are pleased to present TransPrice Times for the month of July 2017.
This periodical broadly covers important rulings, addressing different key issues pertaining to transfer pricing methods and fair assessment proceedings. With CBDT notifying form for opting the revised safe harbour rules and OECD continually coming out with new clarifications, the international tax world is buzzing with the news flutter around CbC Report and multilateral agreement, which we have covered in this periodical.
Thank You and Happy Reading!!
Dear Members,
We are pleased to present TransPrice Times for the second fortnight of June 2017.
This periodical broadly covers important rulings, addressing different key transfer pricing issues related to treatment of royalties received from an Indian company & foreign company's viewpoint, and service PE.
TransPrice Times - Summarising Multilateral InstrumentsAkshay KENKRE
Dear Members,
We are pleased to present TransPrice Times - Summarising Multialteral Instruments (MLI) for June 2017.
June 7 2017 was no ordinary day for the tax world. OECD initiated the historic signing process of the multilateral instrument agreement which involved the participation of 68 countries including India.
The MLI Special Edition urges our members to traverse the multilateral wave, and understand the implications of MLI on the tax front. This edition covers a simplified analysis of India's position on MLI, FAQs & tool-kits released by OECD.
We would be happy to know your suggestions. You can write to us at akshaykenkre@transprice.in
Thank You and Happy Reading!!
Dear Members,
We are pleased to present a snapshot of transfer pricing Safe Harbour Rules notified today vide CBDT Notification 46 of 2017. Margins rationalized and includes "low value adding intra-group services"
We would be happy to know your suggestion. You can write to us at akshaykenkre@transprice.in
Thank you and Happy Reading !!
TransPrice Times - 16th - 31st May 2017Akshay KENKRE
Dear Members,
We are pleased to present TransPrice Times for the second fortnight of May 2017.
This periodical covers important rulings, addressing key transfer pricing issues related to adhoc adjustments, payment of management fees, risk adjustment and AMP adjustment. Further, in the backdrop of constant dynamism on the international taxation front, OECD has recently released a discussion draft on Hard-To-Value-Intangibles which has been covered in this periodical.
TransPrice Times 16th - 30th April 2017Akshay KENKRE
Dear Members,
We are pleased to present TransPrice Times for the second fortnight of April 2017.
Issues on permanent establishments, brand development, deemed international transactions and royalty payments are discussed in this periodical.
Dear Members,
We are pleased to present TransPrice Times for the first fortnight of April 2017.
This periodical covers some key aspects from transfer pricing and international taxation, including rulings on foreign tax credit, royalties, benefit test and withholding taxes. For all the innovators, it is important to note the release of Form No. 3CFA for obtaining tax relief under patent box regime under S. 115BBF of the Income-tax Act 1961.
We would be happy to know your suggestions. You can write to us at akshaykenkre@transprice.in
Thank You and Happy Reading!!
Military Commissions details LtCol Thomas Jasper as Detailed Defense CounselThomas (Tom) Jasper
Military Commissions Trial Judiciary, Guantanamo Bay, Cuba. Notice of the Chief Defense Counsel's detailing of LtCol Thomas F. Jasper, Jr. USMC, as Detailed Defense Counsel for Abd Al Hadi Al-Iraqi on 6 August 2014 in the case of United States v. Hadi al Iraqi (10026)
ALL EYES ON RAFAH BUT WHY Explain more.pdf46adnanshahzad
All eyes on Rafah: But why?. The Rafah border crossing, a crucial point between Egypt and the Gaza Strip, often finds itself at the center of global attention. As we explore the significance of Rafah, we’ll uncover why all eyes are on Rafah and the complexities surrounding this pivotal region.
INTRODUCTION
What makes Rafah so significant that it captures global attention? The phrase ‘All eyes are on Rafah’ resonates not just with those in the region but with people worldwide who recognize its strategic, humanitarian, and political importance. In this guide, we will delve into the factors that make Rafah a focal point for international interest, examining its historical context, humanitarian challenges, and political dimensions.
How to Obtain Permanent Residency in the NetherlandsBridgeWest.eu
You can rely on our assistance if you are ready to apply for permanent residency. Find out more at: https://immigration-netherlands.com/obtain-a-permanent-residence-permit-in-the-netherlands/.
A "File Trademark" is a legal term referring to the registration of a unique symbol, logo, or name used to identify and distinguish products or services. This process provides legal protection, granting exclusive rights to the trademark owner, and helps prevent unauthorized use by competitors.
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NATURE, ORIGIN AND DEVELOPMENT OF INTERNATIONAL LAW.pptxanvithaav
These slides helps the student of international law to understand what is the nature of international law? and how international law was originated and developed?.
The slides was well structured along with the highlighted points for better understanding .
In 2020, the Ministry of Home Affairs established a committee led by Prof. (Dr.) Ranbir Singh, former Vice Chancellor of National Law University (NLU), Delhi. This committee was tasked with reviewing the three codes of criminal law. The primary objective of the committee was to propose comprehensive reforms to the country’s criminal laws in a manner that is both principled and effective.
The committee’s focus was on ensuring the safety and security of individuals, communities, and the nation as a whole. Throughout its deliberations, the committee aimed to uphold constitutional values such as justice, dignity, and the intrinsic value of each individual. Their goal was to recommend amendments to the criminal laws that align with these values and priorities.
Subsequently, in February, the committee successfully submitted its recommendations regarding amendments to the criminal law. These recommendations are intended to serve as a foundation for enhancing the current legal framework, promoting safety and security, and upholding the constitutional principles of justice, dignity, and the inherent worth of every individual.