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    <description>arising in a Contracting State and paid to a resident of the other State may be taxed in the recipient&#039;s State; the source State may also tax such interest but subject to a limited withholding where the recipient is the beneficial owner. Payments to specified Government entities are taxable only in the recipient&#039;s State when beneficially owned by that State. &quot;&quot; broadly covers income from debt claims, excluding late payment penalties. Where the beneficial owner has a permanent establishment or fixed base and the debt is effectively connected, Articles on business profits or independent personal services apply. Special relationships triggering non arm&#039;s length interest are limited to an arm&#039;s length amount for treaty benefits.</description>
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