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    <title>Royalties and fees for technical services</title>
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    <description>Royalties and fees for technical services may be taxed in both the source State and the residence State, but source taxation is limited where the recipient is the beneficial owner resident in the other Contracting State. The Article defines royalties to include payments for use of intellectual property and information, and defines fees for technical services to include managerial, technical or consultancy services. Exceptions apply when the beneficial owner has a permanent establishment or fixed base in the source State and the payments are effectively connected with it, in which case other treaty provisions govern. Related party payments are adjusted to an arm&#039;s length amount for treaty application.</description>
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    <pubDate>Wed, 16 Oct 2024 18:11:16 +0530</pubDate>
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      <title>Royalties and fees for technical services</title>
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      <description>Royalties and fees for technical services may be taxed in both the source State and the residence State, but source taxation is limited where the recipient is the beneficial owner resident in the other Contracting State. The Article defines royalties to include payments for use of intellectual property and information, and defines fees for technical services to include managerial, technical or consultancy services. Exceptions apply when the beneficial owner has a permanent establishment or fixed base in the source State and the payments are effectively connected with it, in which case other treaty provisions govern. Related party payments are adjusted to an arm&#039;s length amount for treaty application.</description>
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      <pubDate>Wed, 16 Oct 2024 18:11:16 +0530</pubDate>
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