2. The competent authority shall endeavour, if the objection appears to it to be justified and if it is unable to find a satisfactory solution itself, to resolve the matter by mutual agreement with the competent authority of the other Contracting State with a view to tax evasion which is not in conformity with this Agreement. Any agreement reached shall be implemented in the domestic law of the States Parties, regardless of the time limits. (4) Provisions on the elimination of double taxation: first of all, Article 23. Article 25 (mutual agreement) could also be classified in this category. The double taxation convention is a convention signed by two countries. The agreement is signed to make a country an attractive tourist destination and allow NGOs to get rid of the multiple payment of taxes. The DTAA does not mean that NRA can avoid taxes altogether, but it does mean that NRA can avoid higher taxes in both countries. DTAA allows an NRA to reduce its tax impact on income generated in India. DTAA also reduces cases of tax evasion. Whereas the abovementioned Convention entered into force on 26 October 1996, after the two States Parties had concluded between themselves the procedure required by their law under Article 28 of that Convention: this page provides information on German double taxation conventions and other national publications on double taxation conventions. double taxation. The original texts can be viewed via our German website.
I would be grateful if you would confirm your agreement with the above-mentioned definitions and, in that case, consider this reference and your reply as part of the agreement. 6. . .