Rohan Khare
Counsel
Practice Area
I am passionate about Direct Tax Litigation, being one of the most dynamic laws with changes being introduced with every Finance Act. It keeps you on your toes and is as exciting as it gets.
Rohan Khare has 9 years of experience and specializes in Direct Tax Litigation. Rohan has extensive experience in Transfer Pricing, International Tax and Corporate Tax matters.
WORK HIGHLIGHTS
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On an appeal before the Income Tax Appellate Tribunal, Delhi where additions in excess of INR 450 crores on account of Network Connectivity Charges paid, variable royalty and disallowance under Section 80IA of the Income Tax Act, 1961 were granted by the Court
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On its (i) Complicated Transfer Pricing and Corporate Tax issues (ii) Litigation before the High Court
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On the withholding tax implications in PayU’s USD 4.7 Billion acquisition of Bill Desk
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On the successful deletion of Transfer Pricing additions on account of Advertising, Marketing and Promotion (“AMP”) expenses and payment of Royalty in excess of a few hundred crores before the Income Tax Appellate Tribunal, Kolkata Benches
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On an appeal before the Income Tax Appellate Tribunal, Delhi where additions in excess of INR 450 crores on account of Network Connectivity Charges paid, variable royalty and disallowance under Section 80IA of the Income Tax Act, 1961 were granted by the Court
-
On its (i) Complicated Transfer Pricing and Corporate Tax issues (ii) Litigation before the High Court
-
On the withholding tax implications in PayU’s USD 4.7 Billion acquisition of Bill Desk
-
On the successful deletion of Transfer Pricing additions on account of Advertising, Marketing and Promotion (“AMP”) expenses and payment of Royalty in excess of a few hundred crores before the Income Tax Appellate Tribunal, Kolkata Benches
-
On an appeal before the Income Tax Appellate Tribunal, Delhi where additions in excess of INR 450 crores on account of Network Connectivity Charges paid, variable royalty and disallowance under Section 80IA of the Income Tax Act, 1961 were granted by the Court
-
On its (i) Complicated Transfer Pricing and Corporate Tax issues (ii) Litigation before the High Court
-
On the withholding tax implications in PayU’s USD 4.7 Billion acquisition of Bill Desk
-
On the successful deletion of Transfer Pricing additions on account of Advertising, Marketing and Promotion (“AMP”) expenses and payment of Royalty in excess of a few hundred crores before the Income Tax Appellate Tribunal, Kolkata Benches
-
On an appeal before the Income Tax Appellate Tribunal, Delhi where additions in excess of INR 450 crores on account of Network Connectivity Charges paid, variable royalty and disallowance under Section 80IA of the Income Tax Act, 1961 were granted by the Court
-
On its (i) Complicated Transfer Pricing and Corporate Tax issues (ii) Litigation before the High Court
-
On the withholding tax implications in PayU’s USD 4.7 Billion acquisition of Bill Desk
-
On the successful deletion of Transfer Pricing additions on account of Advertising, Marketing and Promotion (“AMP”) expenses and payment of Royalty in excess of a few hundred crores before the Income Tax Appellate Tribunal, Kolkata Benches
-
On an appeal before the Income Tax Appellate Tribunal, Delhi where additions in excess of INR 450 crores on account of Network Connectivity Charges paid, variable royalty and disallowance under Section 80IA of the Income Tax Act, 1961 were granted by the Court
-
On its (i) Complicated Transfer Pricing and Corporate Tax issues (ii) Litigation before the High Court
-
On the withholding tax implications in PayU’s USD 4.7 Billion acquisition of Bill Desk
-
On the successful deletion of Transfer Pricing additions on account of Advertising, Marketing and Promotion (“AMP”) expenses and payment of Royalty in excess of a few hundred crores before the Income Tax Appellate Tribunal, Kolkata Benches
-
On an appeal before the Income Tax Appellate Tribunal, Delhi where additions in excess of INR 450 crores on account of Network Connectivity Charges paid, variable royalty and disallowance under Section 80IA of the Income Tax Act, 1961 were granted by the Court
-
On its (i) Complicated Transfer Pricing and Corporate Tax issues (ii) Litigation before the High Court
-
On the withholding tax implications in PayU’s USD 4.7 Billion acquisition of Bill Desk
-
On the successful deletion of Transfer Pricing additions on account of Advertising, Marketing and Promotion (“AMP”) expenses and payment of Royalty in excess of a few hundred crores before the Income Tax Appellate Tribunal, Kolkata Benches
-
On an appeal before the Income Tax Appellate Tribunal, Delhi where additions in excess of INR 450 crores on account of Network Connectivity Charges paid, variable royalty and disallowance under Section 80IA of the Income Tax Act, 1961 were granted by the Court
-
On its (i) Complicated Transfer Pricing and Corporate Tax issues (ii) Litigation before the High Court
-
On the withholding tax implications in PayU’s USD 4.7 Billion acquisition of Bill Desk
-
On the successful deletion of Transfer Pricing additions on account of Advertising, Marketing and Promotion (“AMP”) expenses and payment of Royalty in excess of a few hundred crores before the Income Tax Appellate Tribunal, Kolkata Benches
-
On an appeal before the Income Tax Appellate Tribunal, Delhi where additions in excess of INR 450 crores on account of Network Connectivity Charges paid, variable royalty and disallowance under Section 80IA of the Income Tax Act, 1961 were granted by the Court
-
On its (i) Complicated Transfer Pricing and Corporate Tax issues (ii) Litigation before the High Court
-
On the withholding tax implications in PayU’s USD 4.7 Billion acquisition of Bill Desk
-
On the successful deletion of Transfer Pricing additions on account of Advertising, Marketing and Promotion (“AMP”) expenses and payment of Royalty in excess of a few hundred crores before the Income Tax Appellate Tribunal, Kolkata Benches
-
On an appeal before the Income Tax Appellate Tribunal, Delhi where additions in excess of INR 450 crores on account of Network Connectivity Charges paid, variable royalty and disallowance under Section 80IA of the Income Tax Act, 1961 were granted by the Court
-
On its (i) Complicated Transfer Pricing and Corporate Tax issues (ii) Litigation before the High Court
-
On the withholding tax implications in PayU’s USD 4.7 Billion acquisition of Bill Desk
-
On the successful deletion of Transfer Pricing additions on account of Advertising, Marketing and Promotion (“AMP”) expenses and payment of Royalty in excess of a few hundred crores before the Income Tax Appellate Tribunal, Kolkata Benches
-
On an appeal before the Income Tax Appellate Tribunal, Delhi where additions in excess of INR 450 crores on account of Network Connectivity Charges paid, variable royalty and disallowance under Section 80IA of the Income Tax Act, 1961 were granted by the Court
-
On its (i) Complicated Transfer Pricing and Corporate Tax issues (ii) Litigation before the High Court
-
On the withholding tax implications in PayU’s USD 4.7 Billion acquisition of Bill Desk
-
On the successful deletion of Transfer Pricing additions on account of Advertising, Marketing and Promotion (“AMP”) expenses and payment of Royalty in excess of a few hundred crores before the Income Tax Appellate Tribunal, Kolkata Benches
-
On an appeal before the Income Tax Appellate Tribunal, Delhi where additions in excess of INR 450 crores on account of Network Connectivity Charges paid, variable royalty and disallowance under Section 80IA of the Income Tax Act, 1961 were granted by the Court
-
On its (i) Complicated Transfer Pricing and Corporate Tax issues (ii) Litigation before the High Court
-
On the withholding tax implications in PayU’s USD 4.7 Billion acquisition of Bill Desk
-
On the successful deletion of Transfer Pricing additions on account of Advertising, Marketing and Promotion (“AMP”) expenses and payment of Royalty in excess of a few hundred crores before the Income Tax Appellate Tribunal, Kolkata Benches