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India and Norway Sign an Agreement on Double Taxation Avoidance and Prevention of Fiscal Evasion

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..... India and Norway Sign an Agreement on Double Taxation Avoidance and Prevention of Fiscal Evasion - News and Press Release Dated:- 2-2-2011 - News - Union Finance Minister, Shri Pranab Mukherjee and Norwegian Minister of Research and Higher Education, Ms Tora Aasland signed an agreement, here today for the avoidance of double taxation and prevention of fiscal evasion with respect to taxes on inc .....

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..... ome and on capital (DTAA). This will replace the existing Convention signed between the two countries on the same subject on 31 st December 1986. Speaking on the occasion, Union Finance Minister, Shri Pranab Mukherjee said that it is a matter of happiness that the two countries have signed the revised agreement for the avoidance of double taxation and avoidance of fiscal avoidance after 25 years .....

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..... . He hoped that this will bring out more transparency and openness in both taxation and fiscal matters. Ms. Tora Aasland, Norwegian Minister of Research and Higher Education said that India and Norway have good relations not only in the field of financial matters but also with regard to climate change, water resources and research among others. Both India and Norway have renegotia .....

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..... ted the new Agreement The renegotiated DTAA was approved by the Cabinet in its meeting held on 20 th October, 2010. The new DTAA will replace the existing DTAC upon entering into force. The salient features of the renegotiated DTAA are: (i) In the Article concerning Residence , the new DTAA allow the place of effective management of an entity to be determined thr .....

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..... ough Mutual Agreement Procedure in case it can not be determined otherwise. This provision is not there in existing DTAC. (ii) New DTAA also has provision for insurance PE which was not in existing DTAC. (iii) The Article on Associated Enterprise in the new DTAA has paragraph 2, which is not in the existing DTAC. This paragraph will enable us to resolve Transfer Pri .....

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..... cing cases under Mutual Agreement Procedure. (iv) The new DTAA provide for lesser rate of taxation of dividend and interest in the source country. It provides for 10% rate as against 15% or 25% in existing DTAC. (v) New DTAA has removed limited tax sparring contained in the Article on Method for Elimination of Double Taxation . This is in line with our new tax policy .....

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..... . (vi) The new DTAA has an article on exchange of Information which specifically provide for exchange of banking information and information without domestic interest. These two paragraphs (paragraphs 4 and 5) are missing in the existing DTAC. Hence, the new DTAA which contains these paragraphs is in line with the international standards. (vii) The new DTAA has an article .....

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..... on Limitation of Benefit which is not in existing DTAC. This will prevent misuse of DTAA. - News - Press release - PIB Tax Management India - taxmanagementindia - taxmanagement - taxmanagementindia.com - TMI - TaxTMI - TMITax .....

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