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2 July 2010,Friday Kapil Goel B.Com(H) FCA LLB Advocate Delhi ...

2 July 2010,Friday Kapil Goel B.Com(H) FCA LLB Advocate Delhi ...

2 July 2010,Friday Kapil Goel B.Com(H) FCA LLB Advocate Delhi ...

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AAR Royal Bank of Canada14.We are therefore of the view that the first question has tobe answered in the affirmative. The third question in so faras it is related to question no. (1) is also answered in theaffirmative. That means, the business income of theapplicant arising from the ‘derivative transactions’ is notliable to be taxed in India by virtue of article 7(1) of theDTAA between India and Canada.

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