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2018 (5) TMI 2133 - SCH - Income TaxIncome accrued in India - Applicability of Article 8 vis-a-vis Article 24 of DTAA - income assessable to tax at Singapore on the basis of accrual or remittance - full income would be assessable to tax on the basis of accrual and not on the basis of remittance - HELD THAT:- Leave granted. Hearing expedited.
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