Articles 24th Apr 2024

The Renegotiation of the India-Mauritius Treaty: Implications for Tax Planning and Investment

Authors

Hemal ShahAssociate Partner | Mumbai

Latest Thought Leadership

Alerts & Updates 13th Feb 2026

Debt Restructuring Mechanism for MSMEs

Read More
Alerts & Updates 13th Feb 2026

SEBI Proposes Lower Investment Threshold, Extended NPO Registration, and Relaxed ZCZP Subscription Norms for Social Impact Funds and Social Stock Exchanges

Read More
Podcasts 11th Feb 2026

ELP Podcast Series: Tiger Global Ruling and the Investor Lens: Reflecting on the India–Mauritius Tax Treaty

Read More
Alerts & Updates 11th Feb 2026

Supreme Court Clarifies The Limited Scope of Section 45A of the ESI Act

Read More

The recent proposal to introduce the Principal Purpose Test (PPT) in the India-Mauritius Double Taxation Avoidance Agreement (DTAA) has garnered significant attention among investors. Given India’s history of numerous inbound investments routed through Mauritius, this proposed amendment aims to tighten regulations and prevent misuse of tax benefits provided under India-Mauritius DTAA. What are the proposed changes in the DTAA? How will the proposed changes impact to investment made by Multinational organisation/ Investors through Mauritius?

Read the detailed article here 

Privacy Policy

As per the rules of the Bar Council of India, lawyers and law firms are not permitted to solicit work or advertise. By clicking on the "I Agree" button, you acknowledge and confirm that you are seeking information relating to Economic Laws Practice (ELP) of your own accord and there has been no advertisement, personal communication, solicitation, invitation or any other inducement of any sort whatsoever by or on behalf of ELP or any of its members to solicit any work through this website.