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    <description>Cross-border interest may be taxed in the recipient&#039;s State of residence and also in the source State, but where the recipient is the beneficial owner the source State&#039;s tax is limited by a withholding ceiling. Interest paid to the Government, its subdivisions, the Central Bank, and specified export-import institutions is exempt in the source State. The Article defines interest broadly as income from debt-claims and excludes penalty charges. Interest connected to a permanent establishment or fixed base is treated as arising in the State of that establishment, and amounts exceeding an arm&#039;s-length rate due to special relationships remain taxable under domestic law.</description>
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