India (tax/treaty)
Art. 11Status unknownSaudi ArabiaRegulation
Issued by General Secretariat of Zakat/Tax/Customs Committees (gstc.gov.sa)
INCOME FROM DEBT-CLAIMS
1. Income from debt-claims arising in a Contracting State and paid to a resident of the
other Contracting State may be taxed in that other State.
2. However, such income from debt-claims may also be taxed in the Contracting State
in which it arises and according to the laws of that Contracting State, but if the
beneficial owner of the income from debt-claims is a resident of the other
Contracting State, the tax so charged shall not exceed 10 per cent of the gross
amount of the income from debt-claims.
3. Notwithstanding the provisions of paragraph 2, income from debt-claims arising in a
Contracting State shall be exempt from tax in that State, provided that it is derived
and beneficially owned by:
a. the Government, a political sub-division or a local authority of the other
Contracting State; or
i.
in the case of India, the Reserve Bank of India, the Export-Import Bank
of India, the National Housing Bank ; and
ii.
in the case of the Kingdom of Saudi Arabia, the Saudi Arabian
Monetary Agency; or
4. any other financial institution wholly owned directly, and controlled by the
Government of the other Contracting State.
5. The term "Income from Debt-Claims" as used in this Article means income from
government securities and bonds or debentures, including premiums and prizes
attaching to such securities, bonds or debentures, whether or not secured by
mortgage and whether or not carrying a right to participate in the debtor's profits;
and debt-claims of every kind as well as all other income included as income from
moneys lent under the taxation laws of the State in which the income arises. Penalty
charges for late payment shall not be regarded as income from debt-claims for the
purpose of this Article.
6. The provisions of paragraphs 1 and 2 shall not apply if the beneficial owner of
income from Debt-Claims, being a resident of a Contracting State, carries on business
in the other Contracting State in which the income from debt claims arises, through a
permanent establishment situated therein, or performs in that other State
independent personal services from a fixed base situated therein, and the debt claim
in respect of which such income is paid is e?ffectively connected with such
permanent establishment or fixed base. In such case the provisions of Article 7 or
The Arabic text is the legally binding version. The English translation is provided for guidance only.
Freshness not yet recorded