Explore every episode of the podcast Tax Podcast
| Title | Pub. Date | Duration | |
|---|---|---|---|
| EP:07 UAE Corporate Tax and Transfer Pricing | 25 Jul 2023 | 00:20:30 | |
The UAE Corporate Tax and Transfer Pricing implementation requires an in-depth analysis apart from correct documentation and compliance with the law. In this recent podcast, experts discus and evaluate critical aspects surrounding the need to form tax groups and other crucial restructuring provisions. | |||
| EP:06 UAE Corporate Tax and Transfer Pricing | 26 Jun 2023 | 00:17:56 | |
While Corporate Tax and Transfer Pricing has already been implemented from 1 June 2023, further amendments and announcements are expected. | |||
| EP05: UAE Corporate Tax and Transfer Pricing | 08 May 2023 | 00:19:38 | |
Along with introducing Corporate Tax Law in the UAE, a comprehensive Transfer Pricing (TP) regime was also introduced broadly in line with OECD TP Guidelines. While TP-related concepts might be a newer landscape for UAE taxpayers, it is essential to navigate this while remaining compliant to the Law. | |||
| EP04: India's Supreme Court's Judgement on Ocean Freight | 15 Jun 2022 | 00:19:49 | |
Under India GST Law, importer in India was required to discharge GST under reverse charge on deemed value of ocean freight services under any CIF (i.e. Cost, Insurance and Freight) contract of import. The trade and industry challenged this levy and argued that since value of ocean freight services is already a part of assessable value of imported goods for the purpose of discharging customs duty and IGST on import, it will result into double taxation. Recently, the Supreme Court of India, has given rest to this long-drawn issue and pronounced landmark judgment in the case of Union of India vs M/s. Mohit Minerals. It has been held that levy of IGST under reverse charge on ocean freight services would vitiate the concept of ‘composite levy’ and go against the whole scheme of GST and hence, the appeal of the revenue was dismissed. In effect, the decision of the High Court, wherein the notifications, which provided for levy of IGST, were held to be un-constitutional, has been upheld. | |||
| EP03: UAE Corporate Tax | 26 May 2022 | 00:13:15 | |
As a participating jurisdiction under OECD’s BEPS and two-pillar framework to end tax avoidance, UAE has taken various measures over the years, including the introduction of Corporate Tax with effect from June 2023. | |||
| EP02: Remission of Duties and Taxes on Export Products (RoDTEP) Scheme | 02 Oct 2021 | 00:14:29 | |
In the second episode of our Tax Podcast, Maulik focuses on RoDTEP Scheme, ie. Remission of Duties and Taxes on Export Products, an export scheme that the Government of India announced in 2019 to boost exports by allowing reimbursement of taxes and duties, which are not exempted or refunded under any other scheme. | |||
| EP01: BEPS 2.0 - Pillar 1 and Pillar 2 Framework and G7 | 29 Jul 2021 | 00:10:58 | |
In the first episode of the Tax Podcast series, Maulik Doshi discusses Base Erosion Profit Sharing 2.0 where he explores the different aspects of OECD Pillar One, Pillar Two framework, and the G7 Deal. After G7 inked a historic deal backing a minimum global corporation tax rate of 15%, OECD held an Inclusive Framework meeting, wherein 130 out of 139 nations joined the statement, establishing a new framework for international tax reforms. While a detailed implementation plan is together, the remaining issues are proposed to be finalized by October 2021. | |||