Asia

GlaxoSmithKline v. CIR (Philippines)

In GlaxoSmithKline (GSK) Philippines, Inc. v. Commissioner of Internal Revenue (CIR), the Supreme Court of the Philippines upheld a tax deficiency assessment against GSK Philippines, emphasizing the importance of adhering to transfer pricing regulations. The case was a landmark decision in 2018, underscoring the significance of the arm’s length principle in determining taxable income for multinational corporations.

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Maruti Suzuki India Ltd. v. ACIT

The Delhi High Court’s ruling in the Maruti Suzuki India Ltd. v. ACIT case is a landmark decision that addresses the complex issue of whether Advertisement, Marketing, and Promotion (AMP) expenses incurred by Maruti Suzuki India Ltd. (MSIL) constituted an international transaction under Indian Transfer Pricing (TP) laws.

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Supreme Court Judgment Analysis: Morgan Stanley & Co. Inc. v. DIT (India)

The case of Morgan Stanley & Co. Inc. v. DIT (India) centered on the determination of whether Morgan Stanley & Co. Inc. (MSCo), a U.S.-based company, had a Permanent Establishment (PE) in India through its subsidiary, Morgan Stanley Advantage Services Pvt. Ltd. (MSAS).

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Motorola Inc. vs. India (DCIT)

The case revolves around cross-appeals by Motorola, Ericsson, and Nokia against the Income Tax Department of India, challenging the taxability of revenues generated from the supply of equipment and software to Indian telecom operators.

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