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Advance ruling on tax rate applicable to royalty income derived by a Japanese company in India
Tuesday, December 29, 2009, 2:41
Income Tax
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The income by way of royalty accruing to the Japanese company is liable to be taxed in terms of Article 12 of the DTAA between India and Japan at a rate not exceeding 10 per cent from the assessment year 2008-09 onwards.
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