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    <title>Incentives received for market services within India cannot be considered as trade discount nor export service.</title>
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    <description>Incentives paid by a foreign principal to an Indian reseller for marketing activities within India are not trade discounts but are consideration for services. The reseller did not receive the payments as purchase-price reductions from distributors; the payments constitute a supply of marketing services performed in India. As the supplier is located in India, the place of provision is India and the marketing services do not qualify as export of services.</description>
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