Spring 2026

Asia Tax Bulletin - Spring 2026

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We are pleased to present to you the Spring 2026 edition of the Asia Tax Bulletin. This edition contains a variety of recent development topics in Southeast Asia. Of special interest might be the recent case law in India on anti avoidance, where the Supreme Court ruled, controversially, that the grandfathering provision in the domestic tax law (which denies the Indian tax authorities the right to apply the general anti avoidance rule on transactions which occurred prior to 1 April 2017) did not apply in this case because it was an anti avoidance case. This created widespread confusion and consternation with many foreign investors and the Indian tax authority subsequently issued a circular to clarify that the grandfathering provision does indeed apply to pre-1 April 2017 transactions in shares of Indian companies.

For those readers who follow the “Pillar 2” (Global Minimum Tax) developments in Asia, this edition has news to offer in many of the country sections of this tax bulletin.

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