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Dear ala,
This is a final reminder to join our upcoming webinar examining the Indian Supreme Court’s Tiger Global ruling and its implications for cross-border investment structures.
Taking place tomorrow, 4 February, this session will explore how the judgment is influencing treaty access, substance expectations, and investment planning for multinational groups and private equity investors.
4 February 2026
12:30 PM GMT | 6:00 PM IST
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Register for the
webinar |
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Senior practitioners Munjal Almoula and Prashant Bhojwani from BDO India will provide practical insight into:
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Treaty eligibility and indirect transfer considerations
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The interaction between grandfathering provisions and anti-avoidance rules
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Heightened substance requirements in investment structures
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Exit and restructuring planning following the ruling
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Key takeaways for tax leaders, legal counsel, and advisers
Registering will ensure access to the webinar recording, even if you are unable to attend live.
This session is particularly relevant for professionals advising on or managing cross-border investments involving India.
We hope you can join us.
Kind regards,
The International Tax Review Team
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