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1996 (4) TMI 491 - AAR - Income TaxWhether based on the stated facts of the case, the amounts received by the applicant outside India are taxable in India ? Whether based on the stated facts of the case, the nature of activities performed by the applicant in India, constitute a permanent establishment (PE) in India as per the provisions of article 7 of the Double Tax Avoidance Agreement (DTAA) between India and Malaysia ?"
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