The Firm's tax practice encompasses all areas of Central, State and International aspects of tax law both in direct and indirect taxation. Due in part to the sophistication of the Firm's overall transactional and venture capital practice, our Firm's tax lawyers are expert in a variety of domestic and international transactions and entities such as,

Corporate restructuring

(e.g., mergers, acquisitions, spin-offs and re- capitalization),

Joint Ventures

(e.g., partnerships and strategic alliances),


(e.g., public and private debt and equity, leasing, and asset-backed),

Investment Funds

(e.g., Venture Capital, Venture leasing, bought out deals and OTCE),and

Technology Transfers

(e.g., licensing arrangements).

We also regularly advise clients with regard to domestic and international manufacturing and distribution arrangements, new financial products and tax-free equity diversification/risk minimization transactions.

We specialize in tax advise relating to Double Taxation Avoidance Treaties and Tax Structuring. Our lawyers undertake advise, compliance and appearance before all designated authors and officers under both the Direct and Indirect Taxation Regime. We provide comprehensive advise on Excise, Customs and Imports, keeping in mind the latest developments and departmental circulars (Indirect taxation) .

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