INDIA has today signed a Double Taxation Avoidance Agreement (DTAA)
with the Oriental Republic of Uruguay for the avoidance of double taxation and
for the prevention of fiscal evasion with respect to taxes on income and on
capital on 8th September, 2011. The Agreement was signed by Mr. M. C. Joshi,
Chairman, Central Board of Direct Taxes on behalf of the Government of India and
by Mr Cesar Ferrer, Ambassador of Uruguay to India, on behalf of the Oriental
Republic of Uruguay.
The
DTAA provides that business profits will be taxable in the source state if the
activities of an enterprise constitute a permanent establishment in that state.
Such permanent establishment includes a branch, factory, etc. Profits of a
construction, assembly or installation projects will be taxed in the state of
source if the project continues in that state for more than six months.
Profits derived by an enterprise from the operation of ships or aircraft
in international traffic shall be taxable in the country of residence of the
enterprise. Dividends, interest and royalty income will be taxed both in the
country of residence and in the country of source. However, the maximum rate of
tax to be charged in the country of source will not exceed 5% in the case of
dividends and 10% in the case of interest and royalties. Capital gains from the
sale of shares will be taxable in the country of source and tax credit will be
given in the country of residence.
The
Agreement further incorporates provisions for effective exchange of information
including banking information and assistance in collection of taxes between tax
authorities of the two countries in line with internationally accepted standards
including anti-abuse provisions to ensure that the benefits of the Agreement are
availed of by the genuine residents of the two countries.
The
Agreement will provide tax stability to the residents of India and Uruguay and
facilitate mutual economic cooperation as well as stimulate the flow of
investment, technology and services between India and Uruguay.
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