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Taxation of cross border HO-BO business models


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In a recent case covered by various media outlets, a major Indian MNC is in receipt of a notice for demand of INR 32,403 Cr as alleged non-payment of GST in relation to import of services by the HO from branch. This model is prevalent in the service sector set up and a substantial portion of service sector business is in relation to cross-border transactions. There have been plethora of judgements in the service tax era in relation to service-based industries. We would like to discuss the business models and tax implications in respect of HO-BO arrangements for our clients. In this Dbriefs AP webcast, we covered overview of various HO-BO business models, tax issues in respect of HO-BO arrangements, judicial precedence in such cases and other related issues. (Live Presentation was aired on 25 September 2024)

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Dbriefs MobileBy Deloitte Dbriefs Asia Pacific