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Indo-UK DTAA - neither under Article 5(2)(k) nor under Article 5(4) read with 5(5) the assessee has a PE in India and therefore the distribution fee received by the assessee can not be held to be taxable in India. - Tri

Income Tax - Indo-UK DTAA - neither under Article 5(2)(k) nor under Article 5(4) read with 5(5), the assessee has a PE in India and, therefore, the distribution fee received by the assessee can not be .....

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