In today’s dynamic economic environment, business restructuring through mergers, acquisitions, and reconstitutions has become increasingly common. However, evolving tax laws, judicial precedents, and provisions like Section 56(2)(x) and GAAR continue to create complexity and uncertainty. This insightful panel discussion features expert analysis on key tax and legal implications of restructuring, offering valuable guidance for Tax Managers, CFOs, Consultants, and practitioners navigating these challenges.
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