Evaluation of alternative entity, operating and investment structures of overseas operations and investments from international and Indian tax and regulatory perspective, including inter alia:
- Choosing entity format for operations
- Structuring tax-efficient investment strategies for cross-border operations
- Structuring tax-efficient repatriation and exit strategies
- Developing hybrid entities and financial structures and exploring cross-border tax arbitrage and leverage opportunities through the use of such entities and instruments
- Providing advice on availing foreign tax credits
- Leveraging targets through debt push-down
- Restructuring and realignment, in view of the changing cross-border tax landscape.
We Assist in:
- Structuring options and choice of alternative jurisdictions to locate a holding company from the profit repatriation and exit efficiency perspective
- Structuring an acquisition/ funding, either through an asset purchase or share purchase or funding options evaluation from the tax-efficiency perspective with regard to the possibility of achieving a step-up of underlying assets, preservation of tax attributes, taxability in the hands of the entities
We Unlock the true potential at every stage of your business life cycle.
Get in touch with our team.