About this Event
Join Allen Tan (Chair of Asia Pacific Tax Practice, Baker McKenzie), Sanjiv Malhotra (Head of Tax, Shardul Amarchand Mangaldas), and Rohit Garg (Partner, Shardul Amarchand Mangaldas) to decode reforms proposed in the India Annual Budget 2026 and the landmark Indian case of Tiger Global, with a special focus on their implications for Singapore-based businesses and investors exploring or expanding their India strategies.
The session aims to provide practical guidance to help Singapore-based investors, tax professionals, and corporate decision-makers navigate the evolving Indian tax landscape with confidence. Key learnings for a Singapore audience include:
• Understanding the impact of the Tiger Global case on claims of treaty benefits, including considerations such as tax residency, local general anti-avoidance rules, commercial substance, etc.
• Leveraging new tax incentives in priority sectors as outlined in the India Budget 2026, particularly in electronic goods, data centres, and AI.
• Strategic approaches to dispute resolution, given changes announced in the India Budget 2026, including to Advance Pricing Agreements and ongoing disputes.
The seminar will be conducted at Revenue House.
Date: 24 Mar 2026
Time: 3.00pm to 5.00pm
Fees: SGD 109.00 (incl. GST)
Registration is on first-come-first served
Event Venue & Nearby Stays
Revenue House, 55 Newton Road, Toa Payoh, Singapore
SGD 100.00 to SGD 109.00






