Netflix’s ₹445 Crore Tax Shock: Permanent Establishment & Profit Attribution CA Pranav Goyal(Part-1)
Автор: CA PRANAV GOYAL
Загружено: 2025-12-01
Просмотров: 12
Profit Attribution to Permanent Establishments (PEs) in India is no longer a topic just for tax nerds. When giants like Netflix, Formula One, Morgan Stanley, and e-Funds clash with Indian tax authorities, the world pays attention.
In this video, CA Pranav Goyal breaks down one of the most complex international tax concepts into a simple, engaging 10-minute explainer—with real cases, intuitive analogies, and insights every CFO, tax professional, entrepreneur, and student should know.
🎬 What You’ll Learn
✔ What exactly is a Permanent Establishment (PE)?
✔ Why profit attribution is the most disputed topic in international taxation
✔ Breakdown of the Netflix ₹445 crore tax case
✔ How a 3-day Formula One race created a PE in India
✔ Why Morgan Stanley shaped outsourcing taxation for decades
✔ How e-Funds escaped Indian taxation through solid structuring
✔ The war between Transfer Pricing vs PE attribution
✔ OECD’s AOA vs India’s Fractional Apportionment—what’s the future?
🧠 Who should watch this?
Tax consultants • CFOs • Finance & Strategy Leaders • CA/CS/CMA students • Law students • Startup founders • Anyone curious about how global companies are taxed in India.
If you found this useful, hit Like, Subscribe, and share it with anyone dealing with cross-border taxation.
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