Recently by John Clay Taylor
Finance
Potential Changes For Structuring Investments In India
India and Mauritius are likely to begin renegotiating the current India-Mauritius Double Taxation Avoidance Agreement (the “DTAA”) in the near future. The DTAA provides for the assessment of a capital gains tax on an investor only in the country of such investor’s residence....
Read MoreM&A Transactions In India
This article discusses certain key legal and regulatory aspects relevant to M&A transactions in India from the perspective of a U.S. investor, while highlighting certain comparisons and differences with relevant U.S. regulations. Foreign Investment Regulations Foreign investment in...
Read MoreCongressional Tax Proposals May Significantly Impact The Global Financial System - Part II
This is the second of a two-part series. Part I appeared in the January issue of The Metropolitan Corporate Counsel. In it, the authors discussed two sets of the key provisions of the Foreign Account Tax Compliance Act of 2009 incorporated into the Tax Extenders Act of 2009 (the "Act"): 1)...
Read MoreCongressional Tax Proposals May Significantly Impact The Global Financial System - Part I
This is the first of a two-part series. Part II will appear in the February issue of The Metropolitan Corporate Counsel. On December 9, the House of Representatives passed the Tax Extenders Act of 2009 (the "Act"). The Act is notable because it incorporates the key provisions of the Foreign...
Read MoreStructuring The Right Deal In India
Editor: Please describe your practice, particularly your practice advising on investments and joint ventures in India from a tax perspective. Taylor: I am based in the London office of King & Spalding. I have been practicing in London for almost ten years and prior to that worked as a tax...
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